S-2010-540
In OCCA case No. S-2010-540, Cavner appealed his conviction for Driving While Under the Influence of Alcohol. In an unpublished decision, the court decided to uphold the district court's decision to suppress the evidence. One judge dissented. The case began when the State of Oklahoma charged Cavner with Driving While Under the Influence of Alcohol. He argued that the traffic stop was not justified because there was no reasonable suspicion for the stop. The district court agreed to suppress the evidence but did not dismiss the case entirely. On appeal, the State argued that the district court made an error by suppressing the evidence. When reviewing these kinds of cases, the court looks at the facts presented and defers to the trial court's findings unless something is clearly wrong. It was nighttime when Deputy Yarber observed a vehicle in the parking lot of an abandoned grocery store. He noted that the car left the parking lot in a lawful manner as he and another officer approached. The deputy did not mention any specific criminal activity and had no reason to believe something illegal was happening. Another officer had previously looked into possible drug activity in the area, but that had not been reported recently. In such situations, officers are allowed to check on people they find in unusual circumstances. However, since the vehicle drove away from the parking lot before Yarber could approach, he needed to stop it on a highway, which changes the situation from a simple question into a detention, known as a traffic stop. The law requires that a traffic stop must be supported by something more than just a hunch or general suspicion. The court explained that deputies must have reasonable suspicion to make a legal traffic stop. They look for specific facts suggesting that a crime may be occurring, which was not the case here. The deputy did not have enough evidence or reasons to suspect that Cavner was committing a crime simply because he was in the parking lot of an abandoned store late at night. The court referenced a prior case to support its decision, comparing the circumstances to those in a previous ruling where a stop was also deemed unlawful due to lack of reasonable suspicion. In Cavner's case, the court ruled that the officers did not have enough evidence to justify the traffic stop. Ultimately, the court affirmed the district court's order to suppress the evidence gathered during the stop, meaning the evidence could not be used against Cavner. The decision highlighted the importance of having proper legal grounds for police actions, ensuring that citizens' rights are protected under the law.