U.S. v. Turner, No. 23-3519 (8th Cir. 2025)
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Douglas Turner was convicted of possession of child pornography. He appealed the district court's denial of his motion to suppress evidence, arguing that his statements during a May 2018 interrogation should have been suppressed because he was subjected to custodial interrogation without Miranda warnings. At the time of the interrogation, Turner was an inmate and was interviewed by an FBI agent and a Bureau of Prisons investigator about a cell phone found in his bunk.
The United States District Court for the Eastern District of Arkansas denied Turner's motion to suppress, concluding that he was not in custody during the interview. The court found that Turner was informed he did not have to answer questions and was not in custody, and that the interview was conducted in a non-coercive manner. A jury subsequently convicted Turner, and the district court imposed a sentence.
The United States Court of Appeals for the Eighth Circuit reviewed the district court's factual findings for clear error and its legal determination on "custody" de novo. The appellate court held that Turner was not in custody for purposes of Miranda during the interview. The court noted that Turner was informed he did not have to answer questions, the interview was conducted in a non-coercive environment, and Turner was returned to his normal prison life afterward. The court concluded that a reasonable inmate in Turner's position would have felt free to terminate the interview and return to his housing unit. Therefore, the district court's denial of the motion to suppress was affirmed, and the judgment was upheld.
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