State v. Johnson
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This case involved four appeals that were consolidated because each involved the issue of whether evidence obtained in a search of a motor vehicle incident to a traffic arrest was admissible. In each case, there was no reason to believe that evidence of the crime for which each Defendant was arrested was in any of their vehicles. The searches were performed in compliance with binding appellate precedent, but while these cases were pending, Arizona v. Gant was decided, holding that such searches were unlawful. Each defendant, relying on Gant, filed a motion to suppress the evidence obtained from the searches. At issue before the Supreme Court was whether the exclusionary rule suppresses evidence obtained in a search conducted in compliance with binding precedent when such precedent was later overturned. The Supreme Court held (1) in accord with Davis v. U.S., the exclusionary rule did not apply because the searching officers acted in objectively reasonable reliance on settled, binding appellate precedent; and (2) the trial court's judgments sustaining the motions to suppress in three cases were reversed and remanded, and the trial court's judgment in the remaining case overruling the defendant's motion to suppress was affirmed.
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