Diggs v. Delaware
Annotate this CaseMurad Diggs was convicted of possession of a firearm and ammunition by a person prohibited. In his direct appeal to the Delaware Supreme Court, Diggs claimed the Superior Court erred when it denied his motion to suppress the evidence seized from him - the firearm and ammunition - following an investigative detention and frisk that was, in Diggs’s view, unsupported by reasonable suspicion. More specifically, Diggs challenged the court’s conclusion that the tip upon which the police were acting came from a “citizen informant” and therefore was presumptively reliable. Diggs also contended the Superior Court’s suppression-hearing factual determinations were flawed because the court failed to draw a “lost and/or missing evidence” inference as a result of the police’s failure to collect and preserve certain evidence. Although the Supreme Court agreed, in part, with Diggs’s criticism of the Superior Court’s “citizen-informant” analysis, it disagreed with his conclusion that his seizure was not supported by sufficient reasonable suspicion. Likewise, the Court rejected Diggs’s contention that the Superior Court’s failure to draw an adverse inference against the prosecution - an inference that Diggs did not urge the court to draw at trial - was plainly erroneous. Hence, the Court affirmed the Superior Court judgment.
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