The hearing court properly exercised its discretion in denying defendant’s motion to reopen the suppression hearing. The record supports the court’s finding that defendant did not base the motion on pertinent facts which he could not have discovered with reasonable diligence before the determination of the original suppression motion (CPL 710.40 [4]). Further, the new evidence would have shed no new light on the issue before the hearing court, which was whether defendant’s warrantless arrest violated Payton v New York (
The trial court accorded defendant appropriate latitude in which to develop the circumstances of the arrest and impeach the arresting officer’s credibility. The court properly exercised its discretion in placing reasonable restrictions on defendant’s cross-examination of the officer as to matters that were irrelevant to any issue to be considered by the jury (see People v George,
Limited evidence that the police took certain investigatory steps after speaking to two testifying witnesses was properly admitted, with suitable limiting instructions, as background ev
