United States v. Chi Fa ChanUnited States v. Chi Fa Chan
This case differs from
Ohio v. Robinette,
— U.S.-,
In Robinette the defendant argued that the lack of a clear break in the process following completion of -ticketing — such as explicit advice that the driver was free to leave — made the consent involuntary. In this case the defendant argued that the lack of a clear break in the process following completion of ticketing — such as explicit advice that the driver was free to leave — converted the traffic stop, initially lawful, into an unlawful arrest, which spoils the validity of any later consent. These are just two ways of making the same argument, and should not affect either analysis or outcome.
Defendant chose the “unlawful arrest” characterization because it has the arguable advantage (from the perspective of a defendant who has lost in the district court) of enlarging the appellate role, given the holding of
Ornelas v. United States,
*1160
The district court found that “a reasonable person would not have believed that he was being detained following the conclusion of the traffic stop. A reasonable person would have felt free to decline to answer the trooper’s questions, decline the request for a search or to terminate the brief encounter and drive away.” As propositions about “reasonable persons” and therefore about the propriety of detention, such statements' ordinarily would be reviewed under the approach of
Ornelas.
But in the context of cases like this one, which begin with a lawful traffic stop, see
Whren v. United States,
Affirmed.