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United States v. Guess
2010 WL 5260998
E.D. Va.
2010
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Background

  • Defendant Timothy Guess was arrested in Norfolk on June 23, 2010, during a narcotics investigation involving a confidential informant and a planned methamphetamine sale.
  • The CI arranged to order three grams of meth from Guess, described as an older white male, identified later as Guess, leading to a sting at the CI’s Harvard Street residence.
  • At the scene, detectives observed Guess in front of the CI’s residence and identified Guess’s white pickup truck as belonging to Guess; a vehicle-linked search was anticipated.
  • During arrest, detectives found drugs, a firearm, and keys on Guess’s orange lanyard; Guess stated he owned a vehicle, the white pickup truck, and he declined consent to search it without a warrant, invoking the right to counsel; Miranda warnings were not given at that moment.
  • A K-9 screening of the truck yielded narcotics and another firearm; the police did not leave the vehicle at the scene, and investigators anticipated a search had probable cause.
  • The Government sought to introduce Guess’s on-scene statements about vehicle ownership and his refusal to consent to a search; the Court granted in part suppression and reserved the consent issue for trial.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Whether Miranda applies to the ownership question Ownership question not interrogation under Miranda. Question was interrogation; Miranda warnings required. Miranda applies; ownership statement suppressed
Whether the booking exception applies to the ownership question Booking exception covers routine biographical data; ownership is administrative. Booking exception should apply to any routine booking questions. Booking exception inapplicable
Whether the ownership question falls under the general on-the-scene exception Question was general on-the-scene, not custodial interrogation. Question was custodial interrogation on-scene. General on-the-scene exception inapplicable
Whether the public safety exception applies Public safety justified unwarned questioning about vehicle ownership. Public safety exception narrowly reserved for imminent danger; not here. Public safety exception inapplicable
Whether the refusal to consent to search is admissible and under what grounds Refusal to consent can be admitted to show ownership or consciousness of guilt; Fourth Amendment implications optional. Refusal cannot be used to infer ownership or guilt; protects Fourth Amendment rights. Resolution reserved for trial; suppression of ownership statement affirmed; consent issue to be decided at trial

Key Cases Cited

  • Miranda v. Arizona, 384 U.S. 436 (1966) (required warnings for custodial interrogation)
  • Rhode Island v. Innis, 446 U.S. 291 (1980) (interrogation includes functional equivalent)
  • United States v. Jamison, 509 F.3d 623 (4th Cir. 2007) (Miranda safeguards attach to custodial interrogation)
  • Pennsylvania v. Muniz, 496 U.S. 582 (1990) (routine booking exception to Miranda)
  • United States v. Payne, 954 F.2d 199 (4th Cir. 1992) (interrogation includes express questioning and its functional equivalent)
  • United States v. Henley, 984 F.2d 1040 (9th Cir. 1993) (ownership-type questions can trigger Miranda when linked to a crime)
  • United States v. Smith, 3 F.3d 1088 (7th Cir. 1993) (ownership inquiries during search may implicate testimonial incrimination)
  • United States v. Downing, 665 F.2d 404 (1st Cir. 1981) (express questioning can constitute interrogation)
  • Wisconsin v. Thorbahn, N/A (N/A) (not cited here; exclude due to missing official reporter citation)
  • New York v. Quarles, 467 U.S. 649 (1984) (public safety exception to Miranda for weapons concerns)
  • Oregon v. Mathiason, 429 U.S. 492 (1977) (general on-the-scene questioning not custodial)
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Case Details

Case Name: United States v. Guess
Court Name: District Court, E.D. Virginia
Date Published: Dec 3, 2010
Citation: 2010 WL 5260998
Docket Number: Criminal Action 2:10cr140
Court Abbreviation: E.D. Va.