United States v. Smart, No. 22-4209 (4th Cir. 2024)
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In this case, the defendant, Trezith Smart, appealed his drug-trafficking convictions, arguing that his prosecution violated the Speedy Trial Act and that the district court should have granted his motion to suppress evidence from two traffic stops. The United States Court of Appeals for the Fourth Circuit rejected Smart's arguments, affirming his conviction.
With respect to the Speedy Trial Act claim, the court determined that sufficient time was excluded under the Act's provisions to reduce the number of days between Smart's initial appearance and his arraignment on the superseding indictment to 70. Specifically, the court pointed to the delay caused by a continuance granted when Smart's attorney withdrew due to a conflict of interest. The court found that the continuance served the "ends of justice" and the court had set forth its reasoning on record, thereby meeting the requirements of the Act.
Regarding the motion to suppress evidence from the two traffic stops, the court held that both stops were constitutional. The court found that the officer who conducted the first stop had a reasonable suspicion that criminal activity was afoot, justifying the extension of the stop and the deployment of a drug-sniffing dog. The court also found that the second stop was justified by the suspicious movements of Smart, including his handling of a trash bag that was later found to contain cocaine residue.
The court thus affirmed Smart's drug-trafficking convictions.
The court issued a subsequent related opinion or order on January 24, 2024.
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