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''Michigan v. Summers'', 452 U.S. 692 (1981), was a 6–3 decision by the
United States Supreme Court The Supreme Court of the United States (SCOTUS) is the highest court in the federal judiciary of the United States. It has ultimate appellate jurisdiction over all U.S. federal court cases, and over state court cases that involve a point o ...
which held for Fourth Amendment purposes, a warrant to search for contraband founded on probable cause implicitly carries with it the limited authority to detain the occupants of the premises while a proper search is conducted.


Background

As
Detroit Police Department The Detroit Police Department (DPD) is a municipal police force based in and responsible for the U.S. city of Detroit, Michigan. Founded in 1865, it has nearly 2,500 officers, making it the largest law enforcement organization in Michigan. Histo ...
police officers were about to execute a warrant to search a house for narcotics, they encountered George Summers descending the front steps. They requested his assistance in gaining entry, and detained him while they searched the premises. After finding narcotics in the basement and ascertaining that Summers owned the house, the police arrested him, searched his person, and found in his coat pocket an envelope containing of heroin. Summers was charged with possession of the heroin found on his person. He moved to suppress the heroin as the product of an illegal search in violation of the Fourth Amendment and the trial judge granted the motion and quashed the information. Both the
Michigan Court of Appeals The Michigan Court of Appeals is the intermediate-level appellate court of the state of Michigan. It was created by the Michigan Constitution of 1963, and commenced operations in 1965. Its opinions are reported both in an official publication of ...
and the
Michigan Supreme Court The Michigan Supreme Court is the highest court in the U.S. state of Michigan. It is Michigan's court of last resort and consists of seven justices. The Court is located in the Michigan Hall of Justice at 925 Ottawa Street in Lansing, the state ...
affirmed the trial court's judgment.


Decision

The Supreme Court reversed the judgment below, holding that the detention of Summers did not violate the Fourth Amendment. Justice Stevens, writing for the majority, noted that the detention did amount to a 'seizure' within the meaning of the Fourth Amendment and assumed that the seizure was not supported by probable cause. However, the majority likened this case to its jurisprudence on street frisks, in ''
Terry v. Ohio ''Terry v. Ohio'', 392 U.S. 1 (1968), was a landmark U.S. Supreme Court decision in which the Court ruled that it is constitutional for American police to "stop and frisk" a person they reasonably suspect to be armed and involved in a crime. Spe ...
'', and border searches, in '' United States v. Brignoni-Ponce'', and explained that an exception to the general requirement of probable cause might be made based on the "character of the official intrusion and its justification." With respect to the character of the intrusion, the majority opinion rested in large part on the fact that a neutral magistrate had issued a search warrant for contraband: The majority also noted that the detention of Summers carried little public stigma because he was being detained in his own residence, as opposed to in public. The majority found three justifications for detaining occupants while executing a search warrant: (1) the legitimate law enforcement interest in preventing flight in the event that incriminating evidence is found, (2) the interest in minimizing the risk of harm to the officers, and (3) the orderly completion of the search, which may be facilitated if the occupants of the premises are present. The majority also emphasized that the existence of a search warrant provides objective justification for the detention. On these grounds, the majority held that, for Fourth Amendment purposes, a warrant to search for contraband founded on probable cause implicitly carries with it the limited authority to detain the occupants of the premises while a proper search is conducted.


Criticism

The bright-line rule announced in ''Michigan v. Summers'' has received mixed reception. Professor Wayne R. LaFave has taken the position that the rule is sound because it is well-tailored to the governmental interests at stake. Furthermore, the clarity of the rule will protect liberty. Other scholars have challenged the efficacy and clarity of the
bright-line rule A bright-line rule (or bright-line test) is a clearly defined rule or standard, composed of objective factors, which leaves little or no room for varying interpretation. The purpose of a bright-line rule is to produce predictable and consistent ...
in practice. One scholar has made the case that the Summers rule has been "extended well beyond what the Court's initial rationale should reasonably allow" and, as a result, has "put at risk the very liberty interests that it was designed to protect."Amir Hatem Ali, Following the Bright-Line of Michigan v. Summers, 45 Harvard Civil Rights-Civil Liberties Law Review 483, 494-509 (2010)
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References


External links

* {{Detroit Police Department, state=autocollapse United States Supreme Court cases Legal history of Michigan United States Fourth Amendment case law United States Supreme Court cases of the Burger Court 1981 in United States case law Detroit Police Department