State v. Mendoza (Original)
Annotate this CaseDefendant was arrested for driving while intoxicated and the trial judge subsequently granted her motion to suppress, concluding that the officer lacked reasonable suspicion to make his traffic stop. The state appealed that ruling and requested written findings of fact and conclusions of law. Based upon the trial judge's written factual findings, the court of appeals inferred that the judge must have believed the officer's testimony. The court granted defendant's petition to review whether the court of appeals deferred sufficiently to the trial court's factual findings. The court agreed with defendant that reviewing courts should not make implied findings of fact and credibility determinations that were contrary to the trial judge's ultimate ruling. But because the written findings in this case were ambiguous and there was no credibility determination, the court remanded the case to the court of appeals with instructions to abate the case to the trial judge for supplemental findings.
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