Defendant Dwight Edward Howden was convicted, after a bench trial, of driving under the influence of alcohol. Defendant filed this appeal, challenging the trial court’s order denying his motion to sup
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press. This Court must construe the facts, if possible, so as to uphold the trial court’s findings and judgment.
Tate v. State,
On May 4, 1998, defendant stayed late at his place of business and consumed alcohol as he worked on an intricate engineering proposal. At about 10:15 that evening, defendant decided to call it a day. He triple-locked the windowless building’s steel door on his way out, turned and observed a patrol car parked across the street. Because this was not unusual, defendant paid the officer little attention. He got in his nearby van, cranked the engine and headed home. But defendant did not get far. The patrol car’s blue lights signaled for defendant to stop as he turned onto a nearby street. Defendant complied, but he could not remove the alcoholic odor that hung on his breath. Officer Scott Martin of the Dalton Police Department arrested defendant for suspected drunk driving.
Officer Martin testified that he stopped defendant because it was late at night and defendant’s warehouse is located in an area known for criminal activity. Officer Martin explained that his suspicions were first aroused when he arrived on the scene because he observed defendant’s van “backed into one of the [closed warehouse’s] doors.” Officer Martin testified that he decided to make an investigative stop because defendant’s van exited the deserted parking lot just a couple of minutes after his patrol car arrived on the scene. Held:
A temporary investigatory stop under
Terry v. Ohio,
An investigative stop must be based upon an objective reflection of circumstances which would authorize a reasonable suspicion that the person stopped is, or is about to be, engaged in criminal conduct. An officer must therefore have, as an agent of the state, a founded suspicion — a particularized factual basis from which the court can determine that the detention was not arbitrary or harassing.
Painter v. State,
The trial court erred in denying defendant’s motion to suppress.
Judgment reversed.
