New Jersey v. Terres
Annotate this CaseIn June 2011, defendant Christopher Radel pled guilty to a weapons offense. In October 2015, the court entered an order directing the local police department to confiscate any firearms at Radel's residence. Before carrying out the order, police learned: Radel resided at an address different than on the court order; Radel had two active municipal arrest warrants; and he possessed firearms other than a Beretta listed on the order. Police thereafter set in motion a plan to enforce the order to retrieve weapons and arrest Radel on the outstanding warrants. Performing a protective sweep, officers observed in plain view imitation firearms, butterfly knives, hatchets, bows and arrows, a ballistic vest, simulated police identification badges, marijuana, drug paraphernalia, a glass pipe, and a safe capable of storing firearms. Police obtained a search warrant, netting the multiple weapons, drugs and related paraphernalia, and over $8,000 in cash found in the protective sweep. The trial court denied Radel’s motion to suppress the evidence, and the Appellate Division reversed, finding “no support for the [trial court’s] conclusion that the police had a reasonable and articulable suspicion that there were other persons inside the home or that they posed a risk to the police or others.” In 2017, a warrant for Tyler Fuller’s arrest was issued. Police learned Fuller might have been staying at a trailer park, in possession of a "large amount of narcotics." Four officers went directly to the front building where the trailer's owner (Terres) had said Fuller might be found. As police approached the front door, which was wide open, they observed two men inside, later identified as Mark Boston and William Willis. The officers announced their presence, Boston ran toward a bedroom, with one officer pursuing, believing that he might be Fuller. The officer struggled with Boston and eventually handcuffed him. A computer check revealed that both Boston and Willis had outstanding warrants for their arrest. During a protective sweep of the trailer, an offer peered into a hole in the floor, "large enough for a person to hide" under the residence. The next day a search warrant was issued, and multiple weapons were seized from the trailer. The trial court denied Terres’s motion to suppress the evidence, and the Appellate Division affirmed. The New Jersey Supreme Court found that "a self-created exigency by the police cannot justify entry into the home or a protective sweep." Here, the Court found a protective sweep was not warranted in the Radel case, but was constitutionally justified in the Terres case.
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