People v. King, 75 N.Y.2d 924 (1990)
A defendant seeking to suppress evidence obtained through a search must demonstrate a legitimate personal expectation of privacy in the area or item searched, considering factors beyond mere possession, such as precautions taken to maintain privacy and the right to exclude others.
Summary
King was charged with drug possession offenses after a bag containing narcotics was discovered by police. King and his companion initially denied ownership of the bag. The Court of Appeals reversed the lower court’s suppression of the evidence, holding that King failed to establish standing to challenge the search. While the attorney’s affirmation claimed King had a possessory interest, and a police officer saw King holding the bag earlier, the Court emphasized that possessing an item alone is insufficient to establish a legitimate expectation of privacy; King needed to demonstrate he took steps to maintain privacy and had the right to exclude others.
Facts
Port Authority police officers observed King and a companion who “appeared relatively young.” King and his companion separated, heading for different buses. An officer approached the companion, who dropped a black bag and denied ownership. King was brought back, and he also denied owning the bag. A pat-down of the companion revealed a bullet, leading the officers to search the bag, where they found narcotics.
Procedural History
The hearing court granted King’s motion to suppress the evidence seized from the bag, finding that the search was unlawful and that King had standing to challenge it. The Appellate Division affirmed. The People appealed to the New York Court of Appeals.
Issue(s)
Whether the defendant established a legitimate expectation of privacy in the bag such that he had standing to challenge the search that revealed the narcotics.
Holding
No, because the defendant did not demonstrate a sufficient expectation of privacy in the bag beyond simply showing prior possession.
Court’s Reasoning
The Court of Appeals held that the lower courts erred in finding that King had standing to seek suppression of the evidence. The Court reiterated that a defendant has the burden of establishing standing by demonstrating a personal, legitimate expectation of privacy. While the defendant can use evidence from the People’s case to meet this burden, the record here was insufficient. The Court emphasized that showing a possessory interest alone is not determinative. Instead, courts must consider factors such as whether the defendant took precautions to maintain privacy and whether the defendant had the right to exclude others from access. The court cited People v. Rodriguez, 69 N.Y.2d 159, 163, stating that “‘[a] showing of a possessory or proprietary interest in the item seized by itself…is not the determinative factor on the issue of standing’”. Even if the defendant once possessed the bag, his denial of ownership suggested a lack of intent to maintain privacy. The court found that the burden was on the defendant to establish a legitimate expectation of privacy under the circumstances and that he failed to do so. Therefore, the motion to suppress should have been denied.