Mendoza appeals from his conviction for possessing and passing three counterfeit ten dollar Federal Reserve notes. 18 U.S.C. § 472. He urges reversal on three grounds.
Mendoza, a Mexican-American, argues that he was not adequately warned of his rights as required by Miranda v. Arizona,
Mendoza argues that hearsay statements of an alleged accomplice, introduced at the trial for the limited, non-hearsay purpose of demonstrating probable cause for arrest, violated his right of confrontation under Bruton v. United States,
Finally, Mendoza argues that there was no probable cause for his arrest because the arresting agent relied on information from an informant of untested reliability. The informant was, by his own admission, an accomplice in the crime. He related the underlying circumstances of the offense to the arresting agent. His story, and his description of Mendoza, were corroborated by information obtained from eye witnesses. Under these circumstances, the agent’s reliance on the informant was
*1109
justified.
See
Musgrove v. Eyman,
The judgment is affirmed.
