Defendant, indicted on two counts of first-degree murder, initially filed a pretrial motion requesting that the trial court suppress statements he made during a station house interview with police. After conducting a hearing on the issue, the trial court ruled that during the interview, defendant was in custody for purposes of Miranda warnings. As a result, the trial court ordered all statements made by defendant prior to being given such warnings excluded from trial.
On appeal by the State, this Court held that the trial court used the wrong test in its attempt to determine whether defendant was in custody for purposes of
Miranda
warnings, and ordered the trial court to reconsider the issue under the proper test.
State v. Buchanan,
A trial court’s ruling on a motion to suppress is conclusive on appeal “if [it is] supported by competent evidence.”
State v. Eason,
AFFIRMED.
