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EXCELLENT Based on 387 reviews sean thompson2024-09-06Trustindex verifies that the original source of the review is Google. Just took the SRO course. What an absolute outstanding training!!! I am not an SRO and have not been one. But as the Captain I need to learn and understand as much as I can. This course is excellent to have a better understanding of the law and the SRO... Keep up the great work B2G!!!! Doug Wallace2024-08-29Trustindex verifies that the original source of the review is Google. Good information provided on S&S James Scira2024-08-27Trustindex verifies that the original source of the review is Google. Great training. I would recommend Blue to Gold training to members of LE. Nichalas Liddle2024-08-21Trustindex verifies that the original source of the review is Google. I have had the pleasure of getting to watch some webinars from Blue to Gold and have enjoyed all the insights and knowledge that the instructors have. Good training for all of us in LE careers. Keep on with the good work yโall do. brian kinsley2024-08-21Trustindex verifies that the original source of the review is Google. Great training, refreshers, topic introductions. I love the free webinars! It really helps when budgets are tight. Thank you!! Tim Crouch2024-08-21Trustindex verifies that the original source of the review is Google. Great, free webinars. Thank you. I love the attorney provided content for up to date and accurate information. Anthony Smith2024-08-21Trustindex verifies that the original source of the review is Google. Awesome stuff!
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Officers received information that the defendant was exchanging marijuana for sex in a motor home parked in a lot in downtown San Diego. Offices stopped a youth, who had entered and then left the motor home. The youth told the officers he had received marijuana in return for allowing the defendant sexual contact. The youth, at the officerโs request, went back to the motor home, knocked on the door, and the defendant stepped out. The officer went inside and observed marijuana. A subsequent search of the motor home revealed additional marijuana. The motor home was the defendantโs residence.
Whether a motor home used as a residence is a motor vehicle for purposes of the motor vehicle exception?
Yes. A motor home is treated as a vehicle, rather than a dwelling, if it is immediately mobile.
When a vehicle is being used on highways or is capable of that use and is found stationary in a place not regularly used for residential purposes, two justifications for the vehicle exception to the warrant requirement came into play. First, that the vehicle is readily mobile. Second, there is a reduced expectation of privacy stemming from the pervasive regulation of vehicles. Under these circumstances, the overriding societal interests in effective law enforcement justify an immediate search before the vehicle and its occupants become mobile.
In this case, the defendantโs vehicle possessed many attributes of a home. However, the vehicle falls clearly within the scope of the automobile exception since the defendantโs motor home was readily mobile. While the vehicle is capable of functioning as a home, to distinguish between a motor home and a typical car would require that the mobile conveyance exception be applied depending upon the size of the vehicle and the quality of its appointments. The Court was not willing to make this distinction. Therefore, under the mobile conveyance exception to the warrant requirement, the search of the defendantโs motor home was reasonable.
471 U.S. 386, 105 S. Ct. 2066 (1985)
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