State v. Parisi
Annotate this CaseDefendant pled no contest to possession of narcotic drugs. Defendant appealed, challenging the denial of his motion to suppress a warrantless draw of his blood. Later testing of Defendant’s blood indicated the presence of opiates and morphine. The circuit court held that the warrantless draw of Defendant’s blood was justified under the exigent circumstances exception to the warrant requirements of the federal and state Constitutions. The court of appeals affirmed the denial of Defendant’s motion to suppress, but on different grounds, determining that the good faith exception to the exclusionary rule applied to prevent suppression of the drug-related evidence. The Supreme Court affirmed, holding that the warrantless blood draw was constitutional because it was supported by exigent circumstances.
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