Jim v. State
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The Supreme Court affirmed the judgment of the district court denying Defendant's motion to suppress evidence recovered during a warrantless inventory search of his vehicle, holding that the plain-view exception to the warrant requirement of the United States and Nevada Constitutions applied in this case.
Following a lawful stop and arrest of Defendant, a police officer performed a warrantless inventory search of Defendant's vehicle that produced no formal inventory. The officer, however, observed contraband during the search, leading to criminal charged being filed against Defendant. Defendant filed a motion to suppress, alleging that the evidence recovered from the vehicle was the product and fruit of an illegal search. The district court denied the motion, concluding that the evidence was validly discovered under the plain-view exception to the warrant requirement. The Supreme Court affirmed, holding that the plain-view exception to the warrant requirement applied because the officer was legally present in the vehicle at the time he observed the contraband.
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