People v. MatthewPeople v. Matthew
As the People concede, it was error to summarily deny defendant’s suppression motion. Defendant, as a passenger in a taxi cab, has a right to contest the stop of the vehicle and therefore to challenge any evidence seized as the fruit of an unlawful stop (People v Millan,
Defendant’s contention that he was denied the right to trial
Having learned that the juror would be absent for two days to attend the funeral and wake and ascertained that, due to scheduling constraints and upcoming religious holidays, the trial would be delayed for some six days, Supreme Court properly exercised its discretion to seat the alternate juror (People v Sparrow,
The cases defendant cites do not support his theory that the court was required to accommodate the absent juror and delay the matter until it could be heard a week later. The bulk of the cases merely state the rule enunciated in People v Page (supra, at 73) that, before directing the substitution of an alternate juror, a court is required to conduct a reasonable inquiry regarding the circumstances of a juror’s unavailability and state, on the record, the basis for the juror’s replacement
Defendant’s observation that a court may direct substitution of a juror where the juror’s continued availability, though brief, is not " 'readily ascertainable’ ” is valid (People v Gordon,
The instant case involves circumstances similar to those of People v Robustelli (supra). On Monday, May 9, 1994, the court informed counsel that the absent juror could not be present