In re Austin B.

208 A.3d 1178
CourtSupreme Court of Rhode Island
DecidedJune 10, 2019
Docket2016-237-Appeal. (99-511-04)
StatusPublished
Cited by2 cases

This text of 208 A.3d 1178 (In re Austin B.) is published on Counsel Stack Legal Research, covering Supreme Court of Rhode Island primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In re Austin B., 208 A.3d 1178 (R.I. 2019).

Opinion

Justice Indeglia, for the Court.

The respondent, Austin B. (respondent), appeals from a Family Court order and judgment finding him delinquent for possession of child pornography, pursuant to G.L. 1956 § 11-9-1.3(a)(4). On appeal, the respondent asserts: (1) that the Family Court magistrate erred in denying the respondent's request for a hearing pursuant to Franks v. Delaware , 438 U.S. 154 , 98 S.Ct. 2674 , 57 L.Ed.2d 667 (1978) ; that the trial justice erred in (2) determining that the search warrant was supported by probable cause; (3) deciding that the police did not need to obtain a new search warrant after they determined that their original warrant was based on misinformation; and (4) not suppressing the respondent's oral statements to the police at the residence where the search warrant was executed. For the reasons set forth in this opinion, we affirm the decisions below on issues one through three and conclude that *1181 the respondent waived argument regarding the fourth issue.

I

Technical Background

Because cases involving the crime of possession of child pornography often involve technical terminology, and because a basic understanding of these principles is crucial to analyze the issues before the Court, we will begin with an overview of the technical background and vocabulary pertinent to this case before delving into the facts.

An Internet Protocol address (IP address) is a unique string of numbers that all computers or mobile devices that connect to the Internet acquire. Commonwealth v. Martinez , 476 Mass. 410 , 71 N.E.3d 105 , 107 (2017) (citing Internet Corporation for Assigned Names and Numbers, Beginners Guide to Internet Protocol (IP) Addresses 2, 4 (2011)). IP addresses are owned by an Internet service provider (ISP), such as Cox Communications, Inc. (Cox). See id. When a person purchases Internet service from an ISP, the ISP selects from a roster of IP addresses under its control and assigns a unique IP address to the subscriber at a particular physical address. Id. A subscriber's IP address may change, but the ISP keeps a log of which IP address is assigned to each subscriber at any given moment in time. Id. In the Internet's early days, the correlation between an IP address and a subscriber to a particular computer was stronger, because a residential Internet subscriber went online using only a home computer connected to a hard-wired Internet connection. Id. Today, though, many subscribers use a wireless Internet router to connect their laptops, cell phones, and other mobile devices to the Internet. See id. These wireless routers allow multiple devices within the router's range to connect to the Internet at the same time. Id. Consequently, "the correlation between an Internet subscriber's assigned IP address and any one particular Internet-enabled device may often be weaker than it once was." Id. at 108 . Nevertheless, "the correlation between an IP address and a physical address can still be strong, at least when the ISP has verified its assignment of a particular IP address to a subscriber at a specific physical address at a specific point in time." Id.

Additionally, the matter before the Court also concerns a "peer-to-peer file-sharing network." When a person uses these types of file-sharing services, it is akin to "leaving one's documents in a box marked 'free' on a busy city street." Clifford Fishman & Anne McKenna, Wiretapping and Eavesdropping § 23:25 at 88 (2016) (internal citations omitted). In order to use a peer-to-peer network, an individual must download software for the program. Peer-to-peer networks use hash values to verify the content of electronic files that are available for copying. 1 Hash values-commonly referred to as "electronic fingerprints"-consist of "a string of numbers that, for all practical purposes, uniquely identifies a digital file" and will change any time a file is altered. Martinez , 71 N.E.3d at 108 n.1. Over time, law enforcement and other entities have identified and confirmed that certain hash values contain child pornography.

II

Facts and Travel

We now turn to the facts of the matter before us. On January 2, 2015, Coventry *1182 police detective Kevin Harris, a member of the Rhode Island Internet Crimes Against Children Task Force (ICAC), 2 informed North Smithfield police detective Stephen Riccitelli, also a member of ICAC, that on December 31, 2014, someone was using a peer-to-peer file-sharing network via the IP address 68.9.210.241, and was suspected of possessing and sharing images of child pornography. Detective Harris advised Det. Riccitelli "that a direct connection was made to the aforementioned IP address and several files of suspected child pornography were downloaded." Accordingly, Det. Riccitelli viewed one of the files and confirmed it to be consistent with the definition of child pornography contained in § 11-9-1.3. 3

With this information, Det. Riccitelli conducted an inquiry with the American Registry of Internet Numbers (ARIN) and determined that Cox was the ISP that owned the IP address. Thus, Det.

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Cite This Page — Counsel Stack

Bluebook (online)
208 A.3d 1178, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-austin-b-ri-2019.