Ward v. State
Annotate this CaseFollowing Defendant’s involvement in an automobile accident, law enforcement officers searched Defendant’s vehicle and found marijuana. Defendant was subsequently charged with felony possession of marijuana. Defendant moved to suppress the evidence obtained in the search of his vehicle as well as his statements to law enforcement, arguing that the investigating officer impermissibly extended the scope of his detention. The district court denied the motion to suppress. Thereafter, Defendant pleaded guilty to the charge, reserving the right to appeal the court’s order denying his motion to suppress. On appeal, instead of challenging the search of his vehicle, Defendant argued that the State failed to present sufficient evidence at the suppression hearing concerning the certification of the drug dog used by the investigating officer to conduct a free-air sniff outside Defendant’s vehicle. The Supreme Court affirmed, holding that in entering his conditional plea, Defendant did not properly reserve any questions concerning the reliability of the drug dog, and therefore, that issue may not be addressed here.
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