US v. Jackson, No. 24-1009 (1st Cir. 2024)
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A priest residing in the rectory of St. Mary's Catholic Church in Providence, Rhode Island, was found to have over 12,000 images and 1,300 videos of child pornography on his laptop and external hard drive. The government obtained a search warrant for the rectory, which led to the seizure of these devices. Subsequently, a federal grand jury charged the priest with receipt and possession of child pornography. The priest entered a conditional guilty plea, reserving the right to appeal the district court's denial of his motion to suppress the evidence obtained from the search.
The United States District Court for the District of Rhode Island denied the motion to suppress, finding that the rectory was best characterized as a single-family residence, thus validating the warrant's description. The court also held that even if the warrant lacked sufficient particularity, the good-faith exception to the exclusionary rule would apply, as the officers reasonably relied on the warrant.
The United States Court of Appeals for the First Circuit reviewed the case and affirmed the district court's decision. The appellate court concluded that the warrant was sufficiently particular regarding the premises and possibly the items to be seized. Even if it were not, the good-faith exception applied because the officers acted reasonably based on the detailed affidavit provided by Detective Evans. The court also noted that the appellant waived his right to appeal the denial of his motion for reconsideration by not reserving it in his conditional plea agreement. Thus, the judgment of the district court was affirmed.
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