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Illinois v. Gates

Facts

Officers received an anonymous letter that included statements that the defendants, a husband and wife, were selling drugs. The letter indicated Mrs. Gates would drive the Gatesโ€™ car to Florida on May 3rd to be loaded with drugs, and Mr. Gates would fly down a few days later to drive the car back; that the carโ€™s trunk would be loaded with drugs; and that defendants presently had over $100,000 worth of drugs in their basement. An officer located the Gatesโ€™ address and learned that Mr. Gates made a reservation for a May 5th flight to Florida. Arrangements for surveillance of the flight where made with a DEA agent. The surveillance disclosed that Mr. Gates took the flight, stayed overnight in a motel room registered in Mrs. Gates name, and left the following morning with a woman in a car bearing an Illinois license plate issued to Mr. Gates, heading north on an interstate highway. A search warrant for defendantsโ€™ residence and automobile was then obtained based upon the anonymous letter and the governmentโ€™s corroboration.

Issue

Whether the officersโ€™ affidavit and the anonymous letter establish sufficient facts to satisfy the Aguilar-Spinelli probable cause test?

Held

No. However, the Supreme Court created a totality-of-the-circumstances test.

Discussion

The facts failed to meet the Aguilar-Spinelli โ€œtwo-pronged testโ€ of (1) revealing the informantโ€™s โ€œbasis of knowledgeโ€ and (2) providing sufficient facts to establish either the informantโ€™s โ€œveracityโ€ or the โ€œreliabilityโ€ of the informantโ€™s report. However, the Court held that the overly rigid Aguilar-Spinelli test should be set aside when a common-sense test is more useful in determining whether โ€œprobable causeโ€ exists. The task of the issuing magistrate is simply to make a practical, common-sense decision whether, given all the circumstances set forth in the affidavit, there is a fair probability that contraband or evidence of a crime will be found in a particular place. The duty of a reviewing court is to ensure that the magistrate has a substantial basis for concluding that probable cause existed. Therefore, the Court created the โ€œtotality of the circumstancesโ€ test to replace (or supplement) the Aguilar-Spinelli test. In this case, the totality of the circumstances indicated that the information was truthful and created probable cause for the issuance of a search warrant.

Citation

462 U.S. 213, 103 S. Ct 2317 (1983)

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