New Mexico v. Trujillo
Annotate this Case
In "State v. Williamson," (212 P.3d 376) the Supreme Court advised district court judges reviewing search warrants after the fact to defer to the judgment and reasonable inferences of the judge who issued the warrant "if the affidavit provides a substantial basis to support a finding of probable cause." In this case, the Court reviewed an order suppressing evidence obtained pursuant to a search warrant, and "once again" the Court emphasized that "a reviewing court should not substitute its judgment for that of the issuing court." Based on the affidavit of the warrant that belies this case, the issuing judge found probable cause and issued the warrant. After the search was conducted and evidence was collected, Defendant Jerry Trujillo moved to suppress the evidence collected. The motion was based on a lack of an express nexus between the criminal activity described in the affidavit and the actual address that was searched. While the narrative contained references to "an address" or "the residence" or "the Trujillo home," at no point did the affidavit explicitly state that the residence and the address weren't one and the same place. Defendant therefore claimed the search violated his constitutional rights. A second district judge (reviewing judge) granted Defendant's motion and suppressed all of the evidence obtained in the search, and the Court of Appeals affirmed. The Supreme Court granted certiorari and reversed the appellate court. "Here [the Court sustained] the search because some deference is due the decision of the issuing judge and because, in accordance with sound policy, close cases in this area are to be decided in favor of our pronounced preference for warrants."
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.