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Michigan v. Long

 
US Supreme Court: Michigan v. Long

463 U.S. 1032 (1983), argued 23 Feb. 1983, decided 6 July 1983 by vote of 6 to 3; O'Connor for the Court, Blackmun concurring, Brennan, Marshall, and Stevens in dissent. The Supreme Court's most recent development of the “independent and adequate state grounds” doctrine arose from a Michigan Supreme Court case holding that both the federal Constitution's Fourth Amendment and the state constitution's counterpart proscribed the search of an automobile. State court opinions like Long are often ambiguous about which constitutional provision forms the foundation of their holding. In Long, the Supreme Court announced a new presumption of state dependence on federal law, declaring that it will assume the state court relied on federal law when the state court decision “fairly appears to rest primarily on federal law, or to be interwoven with federal law and when the adequacy and independence of any possible state law ground is not clear from the face of the opinion” (pp. 1040–1041). Only when a state court's opinion or judgment incorporates a “plain statement” that “the federal cases are being used only for the purpose of guidance, and do not themselves compel the result that the court has reached” and that the decision rests on “bona fide separate, adequate, and independent” state grounds will the Supreme Court decline to undertake direct review of the decision (p. 1041).

The Long decision has generated substantial debate. Some contend that it preserves the integrity and uniformity of federal law by enabling the Supreme Court to review state decisions arguably interpreting the federal Constitution, avoids the potential for issuing advisory opinions, shows respect for the independence of the state courts by abandoning the Court's prior “ad hoc” approach to state court decisions, and provides an opportunity for state courts to develop state law. Others argue that Long reflects the Supreme Court's animosity to expansion of individual rights, noting that presumptive jurisdiction extends only to those cases in which a state court affirms rights but not to those in which it rejects rights claims. The Supreme Court continues to apply this decision rigorously.

See also State Constitutions and Individual Rights; State Courts.

— Shirley S. Abrahamson and Charles G. Curtis, Jr.

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Wikipedia: Michigan v. Long
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Michigan v. Long

Supreme Court of the United States
Argued February 23, 1983
Decided July 6, 1983
Full case name Michigan v. David Kerk Long
Citations 463 U.S. 1032 (more)
103 S. Ct. 3469; 77 L. Ed. 2d 1201; 51 U.S.L.W. 5231
Prior history Conviction upheld, 94 Mich. App. 338, 288 N. W. 2d 629. Reversed, 413 Mich., at 472, 320 N. W. 2d, at 869. Certiorari to the Supreme Court of Michigan, 459 U.S. 904.
Subsequent history 413 Mich. 461, 320 N. W. 2d 866, reversed and remanded.
Holding
The Court held it can review state supreme court decisions unless they explicitly appealed to state laws.
Court membership
Case opinions
Majority O'Connor, joined by Burger, White, Powell, Rehnquist, Blackmun (Parts I, III, IV, and V only)
Concur/dissent Blackmun
Dissent Brennan, joined by Marshall
Dissent Stevens

Michigan v. Long, 463 U.S. 1032 (1983), was a decision by the United States Supreme Court that extended Terry v. Ohio, 392 U.S. 1 (1968) to allow searches of car compartments during a stop with reasonable suspicion. The case also clarified and narrowed the extent of adequate and independent state ground, allowing U.S. Supreme Court review of state supreme court decisions unless they explicitly appealed to state laws.

Contents

Background

David Long was questioned by police after driving his car off a road and into a shallow ditch in Barry County, Michigan. Officers said he acted erratically and that he, "appeared to be under the influence of something." Noticing a hunting knife on the floor of the car, they conducted a "Terry" protective patdown (named after Terry v. Ohio), but they turned up no weapons. They then conducted a "protective search" of the car with the same justification: searching for weapons. Inside the car, police found an exposed bag of marijuana. In the trunk they found approximately 75 pounds more, and Long was arrested for drug possession.

The case

Long argued during his trial that the evidence found in his car should be suppressed because the search was unconstitutional. The same argument was advanced during his appeal to the Michigan Court of Appeals. In each case, the court ruled against suppressing the evidence.

However, the Michigan Supreme Court reversed these rulings. Relying largely on federal precedent, especially Terry v. Ohio, the Supreme Court ruled that the "protective search" violated the Fourth Amendment, and thus the "poisonous fruit" of the illegal search must be discarded.

Additionally, the Michigan Supreme Court grounded its decision on article 1, section 11 of the Michigan Constitution. It argued that the search violated both federal and state constitutions, suggesting that if the federal ruling was overturned the presumably more rigorous ruling from the Michigan Constitution would survive. Precedent from Murdock v. City of Memphis, 87 U.S. 590 (1874) and other cases established that the U.S. Supreme Court could not review state cases if there was adequate and independent state ground. That is, state supreme courts are the last word on interpreting state constitutions and laws.

The decision

The court not only ruled that Michigan misapplied Terry v. Ohio and the Fourth Amendment but also ruled that Long had insufficient adequate and independent state ground. O'Connor, a former judge on the Arizona Court of Appeals, affirmed the doctrine of independent state ground, but wrote that the Michigan Supreme Court adjudicated almost exclusively from federal law. Thus, the court "accept[ed] as the most reasonable explanation that the state court decided the case the way it did because it believed that Federal law required it so." Essentially, the Supreme Court presumed the state decision rested on federal grounds. O'Connor suggests that state courts write "clearly and expressly" that their decision rests on bona fide state grounds. Should they do this, the U.S. Supreme Court would "not undertake to review the decision."

One solution is that state courts may rule their own constitution "in parallel" with the U.S. Constitution. That is, they take Federal case law, especially if it's to their liking, as "advisory", although they make clear that Federal law isn't considered by the court precedent. In this way, state courts can protect individual rights at a very high level as the late Justice Brennan suggested.

Although this opinion helped clarify what had theretofore been ambiguous, some critics charged that Michigan v. Long was politically motivated. Justice Stevens, for example, enumerated the ways the U.S. Supreme Court had previously handled such ambiguities. Predominantly, the Court sent cases back down for clarification, but in Long they ruled directly against it without awaiting clarification. Presumably, the more conservative Burger court sought to reverse the liberal Michigan decision.

See also

External links

  • Text of Michigan v. Long, 463 U.S. 1032 (1983) is available from:  · Enfacto · Findlaw

 
 

 

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US Supreme Court. The Oxford Companion to the Supreme Court of the United States. Copyright © 1992, 2005 by Oxford University Press. All rights reserved.  Read more
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