Commonwealth v. Garrick
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Stephen Lamar Garrick was found asleep in a vehicle with the engine running. Upon waking him, officers noticed signs of intoxication and a faint smell of marijuana. This led to a search of the vehicle, where they found a bag of heroin and a loaded handgun in the glove compartment. Garrick, the sole occupant of the vehicle, stated that his mother owned the car and he drove it three days a week. The glove compartment also contained two receipts for vehicle maintenance, both listing Garrick as the customer. Garrick was convicted of possession of heroin and possession of a firearm by a violent felon.
Garrick appealed his convictions, arguing that the evidence was insufficient to prove possession. The Court of Appeals reversed the convictions, stating that Garrick's occupancy of the vehicle, his proximity to the items, and his admission of driving the vehicle were insufficient to establish constructive possession. The Court of Appeals also noted that the maintenance receipts only served as evidence that Garrick regularly used the car, not that he knew about the heroin and firearm.
The Commonwealth appealed to the Supreme Court of Virginia. The Supreme Court reversed the judgment of the Court of Appeals, stating that the evidence was sufficient to allow a reasonable factfinder to conclude that Garrick was aware of the presence of the heroin and firearm. The court noted that Garrick was the sole occupant of the vehicle, was in close proximity to the items, and had been in the vehicle for a significant period of time. The court also pointed out that the maintenance receipts indicated that Garrick was responsible for the vehicle's upkeep, suggesting that he used the glove compartment where the items were found. The court concluded that the combined circumstances were sufficient to support the conviction.
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