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State of Delaware v. Kimberly Gilbert
1610006797
Del. Ct. Com. Pl.
May 15, 2017
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Background

  • On Oct. 12, 2016 at ~12:47 a.m., a Delaware State Police trooper observed Kimberly Gilbert commit minor driving errors (lane crossing, then drifting off the right fog line) and stopped her.
  • At the stop Gilbert reportedly stopped short of a red light and placed her car in park; she was the sole occupant.
  • Officer observed glassy, bloodshot eyes, slurred/mumbled speech, and a strong odor of alcohol; Gilbert refused all field sobriety and breath tests.
  • Officer obtained a magistrate-issued warrant to draw Gilbert’s blood; Gilbert moved to suppress the blood-evidence arguing the affidavit lacked probable cause.
  • The Court reviewed the affidavit under the magistrate-deference standard and denied the motion to suppress, finding the totality of circumstances supported probable cause for a blood draw.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Whether affidavit supported probable cause for blood-draw warrant State: affidavit facts (traffic violation, erratic driving, odor, bloodshot/glassy eyes, slurred speech, refusal of tests) establish fair probability of DUI evidence Gilbert: affidavit insufficient, comparable cases required suppression (insufficient facts or conclusory field-test statements) Denied — magistrate had substantial basis; totality of circumstances sufficient
Whether refusal to perform field sobriety tests may be used to show intoxication State: refusal is admissible to show consciousness of guilt / indicia of intoxication Gilbert: refusal cannot substitute for affirmative test results to establish probable cause Held admissible and probative; refusal contributed to probable cause
Whether prior cases (Mulholland, Cajthaml, Sharp) compel suppression Gilbert: relied on those rulings to argue similar facts failed to establish probable cause State: distinguishes facts (no extreme weather, non‑conclusory refusal, stronger indicators here) Court distinguished those cases and declined to apply them
Standard of review for magistrate’s probable‑cause determination State: magistrate-deference per Rybicki; review not de novo Gilbert: urged stricter scrutiny of affidavit content Court applied Rybicki deferential totality-of-circumstances review and found affidavit sufficient

Key Cases Cited

  • Rybicki v. State, 119 A.3d 663 (Del. 2015) (articulates deferential review of magistrate probable‑cause determinations under totality-of-circumstances)
  • Lefebvre v. State, 19 A.3d 287 (Del. 2011) (distinguishes scientific HGN test from non‑scientific field sobriety tests)
  • Ruthardt v. State, 680 A.2d 349 (Del. Super. 1996) (discusses use and purpose of non‑scientific field sobriety tests)
  • State v. Adams, 13 A.3d 1162 (Del. Super. 2008) (burden shift when a magistrate issues a warrant)
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Case Details

Case Name: State of Delaware v. Kimberly Gilbert
Court Name: Delaware Court of Common Pleas
Date Published: May 15, 2017
Docket Number: 1610006797
Court Abbreviation: Del. Ct. Com. Pl.