This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- On April 11, 2019, Officer Forsberg attempted to stop a vehicle with an outstanding warrant for its owner, Defendant Melissa Ortega. The vehicle fled, engaging in dangerous driving. On May 24, 2019, the same officer recognized and stopped the vehicle. During the stop, evidence of narcotics trafficking was found in the vehicle. Ortega was charged but contested the legality of the stop, arguing it lacked reasonable suspicion (paras 2-4).
Procedural History
- [Not applicable or not found]
Parties' Submissions
- Defendant-Appellant: Argued the stop was not supported by reasonable suspicion, violating her rights against unreasonable searches and seizures. Contended the evidence from the stop should be suppressed, as the officer had, at most, suspicion of a misdemeanor, not a felony (paras 1, 5, 7).
- Plaintiff-Appellee: Maintained that the stop was justified by reasonable suspicion that the Defendant had committed the felony offense of aggravated fleeing a police officer, thus the evidence obtained should not be suppressed (para 1).
Legal Issues
- Whether the investigatory stop of Defendant's vehicle on May 24, 2019, was supported by reasonable suspicion of felony aggravated fleeing, justifying the stop and subsequent evidence seizure (paras 1, 7-9).
Disposition
- The court affirmed the district court’s decision denying Defendant’s motion to suppress the evidence obtained from the vehicle stop (para 22).
Reasons
-
The Court, with Judge Jane B. Yohalem writing the opinion, and Judges Zachary A. Ives and Michael D. Bustamante concurring, held that Officer Forsberg had reasonable suspicion to believe that Defendant had committed the felony of aggravated fleeing a law enforcement officer on April 11, 2019. This suspicion justified the investigatory stop on May 24, 2019. The Court rejected the Defendant's argument that the stop could only be justified by suspicion of a misdemeanor presenting a clear and continuing danger to the public. The Court also dismissed the Defendant's claim for greater privacy protections under the New Mexico Constitution, aligning with federal standards requiring only reasonable suspicion for investigatory stops. The Court emphasized that the crime of aggravated fleeing does not necessitate a high-speed pursuit by the officer but is determined by the fleeing individual's dangerous driving (paras 7-21).
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