IN THE JUVENILE COURT OF __________ COUNTY
STATE
OF GEORGIA
IN THE INTEREST
OF: * CASE NO. 000-96J-00000
*
CLYDE CALHOUN,
* FILE NO. 950000000
A CHILD
*
MOTION TO SUPPRESS
COMES
NOW the above named Child and files this his motion to suppress
illegally obtained evidence, and shows the Court the following
facts:
1. That
on______________ about 1:00 P.M., said child was walking near
an apartment complex with several friends.
2. Said
child was not violating any laws or ordinances and was stopped,
searched and taken into custody by officer Brewer for the
sole reason that a manager of the apartment complex had reported
that "several subjects were striking matches and possibly
attempting to set afire to something", according to the
police report.
3. Said
child made no attempt to conceal himself or avoid the officer
and was not behaving suspiciously.
4. According
to the police report, the officer "check(ed) all subjects
for weapons and contraband" then "walked all subjects
back to the direction they came from".
5. After
"walking them back in the direction that they had come
from", the officer picked up a green tennis ball, opened
it and found suspected crack cocaine. The police officer charged
Calhoun with a Violation of the Georgia Controlled Substances
Act because "one of the subjects wearing dark clothing
was bouncing the ball".
6. The stop,search,
and warrantless taking into custody of said child were in
violation of Defendant's rights under the Fourth and Fourteenth
Amendments of the United States Constitution and comparable
provisions of the Georgia Constitution.
7. Suspected
drugs were the fruits of these constitutional violations.
WHEREFORE,
Defendant prays for an order suppressing any article, thing,
or testimony obtained as a result of the illegal stop and
tainted search and seizure of Defendant and for such other
relief as the Court may deem proper.
Respectfully
submitted:
Attorney for Defendant
CERTIFICATE
OF SERVICE
I hereby
certify that I have duly served a copy of the foregoing Motion
To Suppress on __________, Assistant Solicitor, __________
County Juvenile Court, ________, GA 30
This ______day
of ________, 20 .

Attorney
for Defendant
IN
THE SUPERIOR COURT OF __________ COUNTY
STATE
OF GEORGIA
STATE OF
GEORGIA *
*
vs. *
INDICTMENT NO.
*
96CR0000
MITCH MITCHELL,
*
DEFENDANT
*
MOTION
TO SUPPRESS
COMES
NOW, defendant’s name, Defendant in the above-styled
case, and moves this Court for an order suppressing certain
evidence seized on or about _____________, and in support
thereof respectfully shows the Court as follows:
1.
On _____________,
Defendant was arrested in __________ County, Georgia, and
charged with Violation of the Georgia Controlled Substances
Act. The warrant charged that Defendant had in his possession
and control a quantity of methamphetamine.
2.
The search
of defendant’s residence., a rear basement apartment,
identified in his lease as "0000 A North Ave." and
in utility records as "rear" or "basement"
apartment, which produced the evidence in question, was conducted
wholly without any valid Constitutional basis, thereby depriving
the Defendant of his rights to due process as guaranteed by
the fourth and Fourteenth Amendments of the Constitution of
the United States, and the comparable provisions of the Georgia
Constitution.
3.
The search
warrant filed in the case at issue was illegally executed
in that it refers on its face to a separate apartment in the
building where Defendant’s apartment is located.
4.
No exigent
circumstances existed that would allow a warrantless search
of the residence of Defendant.
WHEREFORE,
Defendant prays for an order suppressing any article, thing,
or testimony obtained as a result of the illegal search and
seizure of Defendant and for such other relief as the Court
may deem proper.
Respectfully
submitted:
__________________________
Attorney
for Defendant
CERTIFICATE
OF SERVICE
I hereby
certify that I have duly served a copy of the foregoing Motion
To Suppress on _______________, Assistant District Attorney,
____________ Judicial Circuit, ___________________, GA 30----.
This ______
day of March, 20 .
______________________________
Attorney
for Defendant

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