State v. Dunn
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After receiving a dispatch that a male driving a tow truck was armed and planned to kill himself, two police officers stopped the driver, Richard Dunn. Because they were dealing with an allegedly suicidal person, they handcuffed Dunn and placed him in a police cruiser. The officers subsequently found a loaded gun in the truck's glove compartment. Dunn was indicted on one count of improper handling of a firearm in a motor vehicle. Dunn filed a motion to suppress, contending that the traffic stop violated the Fourth Amendment. The trial court overruled the motion, holding that the stop was a legitimate response to an emergency situation. Dunn then pleaded no contest to the charge. The court of appeals reversed and granted the motion to suppress. The Supreme Court reversed the court of appeals and reinstated the judgment of the trial court, holding that the officers in this case were authorized to stop Dunn because the community-caretaking/emergency-aid exception to the Fourth Amendment warrant requirement allows a low-enforcement officer with objectively reasonable grounds to believe that there is an immediate need for her assistance to protect life or prevent serious injury to effect a community-caretaking/emergency-aid stop.
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