Case Law People v. Gaynor

People v. Gaynor

Document Cited Authorities (4) Cited in (1) Related

Eric Gonzalez, District Attorney (Joseph A. Duarte II, of counsel), for the People.

Leon Schrage, Esq., for defendant.

John T. Hecht, J.

Defendant Barrington Gaynor is charged with attempted murder in the second degree for allegedly shooting at an employee of the Dubai Exotic Smoke Shop on October 16, 2022. At the time of defendant’s arrest two days later, on October 18, 2022, the police recovered a red Apple iPhone from his person.

Defendant now moves to controvert a search warrant for data obtained through location-based services, geolocation information, and the contact list stored in his cell phone, which this court authorized on June 8, 2023, and to suppress the fruits of that search.

In support of his motion, defendant argues that the warrant was not supported by probable cause, and that it was overbroad and lacked specificity.

This decision considers whether the search warrant was properly issued. The court has reviewed unredacted copies of the search warrant and the sworn affidavit of Detective Edwin Santiago.

Probable Cause

Defendant raises one specific challenge to the probable cause for the cell phone location data warrant. He contends that Detective Santiago’s affidavit failed to establish a "sufficient nexus" between his cell phone and the alleged shooting. Specifically, defendant argues that nothing in the warrant application demonstrates that he was holding or using his cell phone at the time of the offense, and that "[w]ithout any evidence of use, it is improbable that there was a creation of any electronic data" (Def Mot at ¶¶ 8-9).

The pervasiveness of cell phones and their ability to record their user’s movements effortlessly and automatically in detailed, encyclopedic fashion, is a basic reality of modem life — a reality that Fourth Amendment jurisprudence (and its New York counterpart) has adapted to and accepted as fact.

The United States Supreme Court has observed that cell phones have become an "important feature of human anatomy" (Riley v. California, 573 U.S. 373, 385, 134 S.Ct. 2473, 189 L.Ed.2d 430 [2014]). It has further recognized the compulsivity with which individuals carry their cell phones with them ("all the time"), and acknowledged that these "faithful followers" are equipped with evolving technologies that allow them to easily and efficiently track a person’s movements with remarkable precision (Carpenter v. United States, 585 U.S. 296, 138 S.Ct. 2206, 2218, 201 L.Ed.2d 507 [2018] ["when the Government tracks the location of a cell phone it achieves near perfect surveillance, as if it had attached an ankle monitor to the phone’s user"]; Riley, 573 U.S. at 396, 134 S.Ct. 2473 ["Historic location information is a standard feature on many smart phones and can reconstruct someone’s specific movements down to the minute, not only around town but also within a particular building"]).

The New York Court of Appeals accepted these undeniable realities nearly fifteen years ago with regard to electronic geolocation data: "What the technology yields and records with breathtaking quality and quantity is a highly detailed profile, not simply of where we go, but by easy inference, of our associations — political, reli- gious, amicable and amorous, to name only a few — and of the pattern of our professional and avocational pursuits" (People v. Weaver, 12 N.Y.3d 433, 442, 882 N.Y.S.2d 357, 909 N.E.2d 1195 [2009]).

The recognition that cell phones have become an extension of our very selves - a digital limb, so to speak — and of the intimate portrait of us that geolocation data stored in cell phones permits is the rationale for the United States Supreme Court’s and the New York Court of Appealsdecisions in Carpenter, Riley and Weaver. a person has an expectation of privacy in the data stored in his cell phone, including the record of his physical movements, and cell phone searches (at least those over a certain time frame, see infra) must be preceded by a search warrant supported by probable cause (Carpenter, 138 S.Ct. at 2221).

[1] Against this backdrop, this court finds that it was unnecessary for Detective Santiago to allege that defendant was holding or using his cell phone at the time of the crime, as a court of coordinate jurisdiction has also observed (see People v. Williams, 79 Misc.3d 809, 817, 188 N.Y.S.3d 417 [Sup. Ct. Albany Co. 2023] [notion that people always carry their cell phones sufficient to show nexus between suspect and cell phone], citing Carpenter, 138 S.Ct. 2206; Riley, 573 U.S. 373, 134 S.Ct. 2473).

[2] In addition, that defendant was in possession of a cell phone at the time of arrest two days after the shooting made it reasonable for Detective Santiago to believe that he had his cell phone with him during the shooting, and that a search of that phone for information about its — and by extension, defendant’s — whereabouts, would yield evidence related to the crime.

These facts, combined with Detective Santiago’s averments that, based on his training and experience, location-based services data from the target phone would provide geolocation information regarding its user’s whereabouts, and that the target phone’s Google maps application would reveal the whereabouts of its user at or near the time of the crime, were sufficient to meet the probable cause requirement for a search of the phone’s location data.

Notably, defendant does not argue that probable cause establishing his identity as the shooter is insufficient, nor would such an argument succeed. Relying on information from the complainant and fellow officers involved in the investigation, Detective Santiago affirmed that on October 16, 2022, at 9:46 PM, the defendant, whom the complainant knows as "Eli," entered 13 Newport Street in Brooklyn, and fired three shots into the store. Officers responding to the scene recovered three shell casings and multiple bullet fragments from inside and outside the location.

Based on the foregoing, Detective Santiago’s affidavit establishes probable cause to believe that...

Experience vLex's unparalleled legal AI

Access millions of documents and let Vincent AI power your research, drafting, and document analysis — all in one platform.

Start a free trial

Start Your 3-day Free Trial of vLex and Vincent AI, Your Precision-Engineered Legal Assistant

  • Access comprehensive legal content with no limitations across vLex's unparalleled global legal database

  • Build stronger arguments with verified citations and CERT citator that tracks case history and precedential strength

  • Transform your legal research from hours to minutes with Vincent AI's intelligent search and analysis capabilities

  • Elevate your practice by focusing your expertise where it matters most while Vincent handles the heavy lifting

vLex

Start Your 3-day Free Trial of vLex and Vincent AI, Your Precision-Engineered Legal Assistant

  • Access comprehensive legal content with no limitations across vLex's unparalleled global legal database

  • Build stronger arguments with verified citations and CERT citator that tracks case history and precedential strength

  • Transform your legal research from hours to minutes with Vincent AI's intelligent search and analysis capabilities

  • Elevate your practice by focusing your expertise where it matters most while Vincent handles the heavy lifting

vLex

Start Your 3-day Free Trial of vLex and Vincent AI, Your Precision-Engineered Legal Assistant

  • Access comprehensive legal content with no limitations across vLex's unparalleled global legal database

  • Build stronger arguments with verified citations and CERT citator that tracks case history and precedential strength

  • Transform your legal research from hours to minutes with Vincent AI's intelligent search and analysis capabilities

  • Elevate your practice by focusing your expertise where it matters most while Vincent handles the heavy lifting

vLex

Start Your 3-day Free Trial of vLex and Vincent AI, Your Precision-Engineered Legal Assistant

  • Access comprehensive legal content with no limitations across vLex's unparalleled global legal database

  • Build stronger arguments with verified citations and CERT citator that tracks case history and precedential strength

  • Transform your legal research from hours to minutes with Vincent AI's intelligent search and analysis capabilities

  • Elevate your practice by focusing your expertise where it matters most while Vincent handles the heavy lifting

vLex