In 2002, James Caswell Jones was arrested on an outstanding warrant for failure to pay child support. Based on statements Jones made after his arrest, the police obtained a search warrant for Jones’s home and discovered firearms in the home. Thereafter, Jones was indicted for firearms violations.
Before trial, Jones moved to suppress the firearms as the fruit of an illegal search. Jones argued that the arresting officer delayed serving the child-support warrant in hopes of arresting Jones while he was committing a drug-related offense. The district court found that the officer had intentionally delayed serving the arrest warrant and had used the warrant as a pretext to catch Jones in a drug offense. Based on those findings, the district court concluded that the arrest was unconstitutional and granted the motion to suppress.
The Court considers under a mixed standard the grant of a motion to suppress, reviewing the district court’s factual findings for clear error and its application of law to those facts
de novo. United States v. Chanthasouxat,
“Subjective intentions play no role in ordinary, probable-cause Fourth Amendment analysis.”
Whren v. United States,
In Jones’s case, the objective circumstances are that the arresting officer discovered an outstanding warrant for Jones and executed the warrant within 30 days. The warrant was still valid. Although the officer did not serve the warrant immediately upon his discovery of it, delay in executing a warrant is not itself unlawful.
See United States v. Cravero,
Therefore, because Jones’s arrest was based upon a warrant supported by probable cause, his arrest was not unconstitutional, and the district court erred in granting Jones’s motion to suppress.
REVERSED.
Notes
. To the extent that
Amador-Gonzalez v. United States,
