Kenneth Brown appeals from his conviction for possession of cocaine on the grounds that evidence of a pipe containing cocaine residue should have been suppressed and that the evidence was insufficient to support his conviction. Because he did not preserve for appellate review his suppression claim and because the evidence met the sufficiency standard set forth in
Jackson v. Virginia,
Viewed in a light to uphold the verdict, see
Weldon v. State,
*213 The state charged Brown with possession of cocaine, obstructing a law enforcement officer, criminal trespass, and loitering. Brown moved to suppress the evidence of the pipe containing cocaine residue, arguing that it was found during an illegal arrest. The trial court denied the motion and after a bench trial found Brown guilty of possession of cocaine but not guilty of the other charged offenses.
1. Brown challenges the court’s denial of his motion to suppress. But he failed to preserve this issue for appellate review, because at trial his counsel tendered the crack pipe into evidence and moved the court to admit it. This apparently was part of a strategy to question whether the pipe containing the cocaine residue was the same as the pipe that officers showed Brown at the time of his arrest, notwithstanding his stipulation to the pipe’s chain of custody. “On appeal, a party may not complain of a ruling that he contributed to or acquiesced in by his own action, trial strategy, or conduct.” (Citation omitted.)
Blackford v. State,
2. Brown contends that there was insufficient evidence to show that he possessed the pipe containing cocaine.
A person may be found to have had constructive possession of contraband if it is shown that he had both the power and the intention at a given time to exercise dominion or control over it. A finding of constructive possession must be based upon some connection between the defendant and the contraband other than mere spatial proximity.
(Citations and punctuation omitted.)
Thurmond v. State,
The state presented evidence other than Brown’s mere spatial proximity to the pipe containing cocaine to show that he had constructive possession over it. The pipe was dry, although it had been raining and the surrounding area was “soaked”; from this evidence the court as factfinder could infer that the pipe had been on the ground for a very short period of time. See
Wright v. State,
Judgment affirmed.
