Green v. Newport

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Around 8:30 p.m., Milwaukee officers responded to a complaint by a store employee that a Mercury Grand Marquis drove around the store’s parking lot five times. Officer Newport believed this was consistent with preparation for a robbery. He knew that this store had been robbed recently, with firearms. The store closed at 9 p.m. and would soon be empty. Newport observed a Mercury Marquis about 30 feet from the store's entrance, parked next to a Chevrolet Malibu, driven by Green. Newport claims, and Green disputes, that Lindsey, the Marquis driver, stood next to the Malibu's front passenger door, leaned inside, and stood back up. Newport suspected that Lindsey had concealed a weapon. The officers told the men to put up their hands and directed Green to exit the vehicle. Newport claims, and Green disputes, that Green exited with his right arm kept tight to his body while his left swung freely and that after asking Green to raise his arms, Green raised only his left arm. Newport grabbed Green’s wrist but Green resisted. Newport proceeded to pat him down and discovered a handgun in Green’s waistband. Green sued under 42 U.S.C. 1983 and 1988. The court ruled that the investigatory stop violated a clearly established constitutional right, and denied qualified immunity. The Seventh Circuit reversed. Newport had a plausible reason to suspect that Green was armed and dangerous. View "Green v. Newport" on Justia Law