State of Louisiana v. James G. Buck

CourtLouisiana Court of Appeal
DecidedNovember 8, 2017
DocketKW-0017-0471
StatusUnknown

This text of State of Louisiana v. James G. Buck (State of Louisiana v. James G. Buck) is published on Counsel Stack Legal Research, covering Louisiana Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State of Louisiana v. James G. Buck, (La. Ct. App. 2017).

Opinion

NOT DESIGNATED FOR PUBLICATION

STATE OF LOUISIANA COURT OF APPEAL, THIRD CIRCUIT KW 17-471 STATE OF LOUISIANA VERSUS

JAMES G. BUCK

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ON WRIT OF CERTIORARI FROM THE FIFTEENTH JUDICIAL DISTRICT COURT PARISH OF VERMILION, DOCKET NO. 15-59048 HONORABLE LAURIE A. HULIN, JUDGE

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VAN H. KYZAR

JUDGE

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Court composed of Sylvia R. Cooks, John E. Conery, and Van H. Kyzar, Judges.

WRIT DENIED. Amanda Martin

15" Judicial Public Defender’s Office

P.O. Box 3622

Lafayette, LA 70502

Telephone: (337)232-9345

Fascimile: (337)232-1169

COUNSEL FOR DEFENDANT/APPLICANT: James G. Buck

Roger Hamilton

Assistant District Attorney

15" Judicial District

Vermilion Parish Court

100 North State Street

Abbeville, LA 70510

Telephone: (337)232-5170

COUNSEL FOR RESPONDENT: State of Louisiana KYZAR, Judge

The Defendant, James G. Buck, files this writ seeking a reversal of the trial court’s denial of his motion to suppress evidence seized in connection with his underlying criminal charges. For the reasons herein, we deny Defendant’s writ application.

Background

On June 15, 2015, Defendant, James G. Buck, was charged with possession with intent to distribute CDS II (methamphetamine), in violation of La.R.S. 40:967(A)(1); possession of CDS IV (alprazolam), in violation of La.R.S. 40:969(C); possession of CDS II (amphetamine), in violation of La.R.S. 40:967(C); transactions involving proceeds from drug offenses, in violation of La.R.S. 40:1041(D); possession of firearms in the presence of a controlled dangerous substance, in violation of La.R.S. 14:95(E); and possession of drug paraphernalia, in violation of La.R.S. 40:1023. On June 22, 2016, Defendant filed a motion to suppress all evidence obtained as a result of a December 16, 2014 search of Defendant’s residence.

Defendant claimed the warrant was issued without probable cause, arguing the application for the search warrant lacked particularity and there was no basis for concluding the individual, Ms. Elizabeth Pate, who provided information to the applicant, was reliable. Additionally, Defendant argued that the officer applying for the search warrant, Sergeant Jerath Bessard, “intentionally left off relevant and important information regarding Ms. Pate’s unstable mental state and erratic behavior,” thereby misleading the judge who signed the search warrant. The affidavit seeking the search warrant stated the following:

On December 16, 2014[,] Sgt. Jerath Bessard and other agents with

the Vermilion Parish Sheriffs’ Office Narcotics Unit received information from Elizabeth Pate W/F stating that Craig Guillory

3 brought her to James Buck’s residence located at 14001 Ash Street in Perry, LA. Ms. Pate continued to say that she and the males smoked Methamphetamine at the residence, she also stated that James Buck and Craig Guillory also cooks [sic] Methamphetamine at the residence, and are associated with the notorious Bandito Motorcycle Gang. Ms. Pate also stated that James Buck left a guy for dead last week in a field between Abbeville and Kaplan. VPSO located that male subject in a field on Cheneau Road.

Ms. Pate stated that James Buck took her over to Marlin [R]Joad, the

residence of his deceased father, and was trying to bring her into a

field on a 4-wheeler and kill her. Ms. Pate said she jumped off the 4-

wheeler and ran to a nearby house to call [the] Sheriff’s Office.

A hearing on the motion to suppress took place on December 22, 2016, and January 3, 2017. Defendant and the State filed post-hearing memorandums on the issue, and, on March 31, 2017, the trial court denied the motion to suppress, stating:

The “direct personal observation of the informant,” the affidavit’s

disclosure of the informant’s name, and the coorborating [sic]

information within the affidavit establish that the named informant

was credible and her information was reliable. Clay, 408 So.2d 1295

(La. 1982). The testimony from Sgt. Bessard of his observations,

conclusions, and personal knowledge of details of a separate narcotics

investigation of the residence located [at] 14001 Ash Street; establishes that the defendant failed to show any genuine issue of his veracity or reckless disregard for the truth. Therefore, the affidavit contains sufficient probable cause and describes with particularity the

place to be searched and the evidence thought to be found therein.

The following information was presented during the hearing on the motion to suppress. On December 16, 2014, Mr. Jeb Linscombe called law enforcement to have them remove a woman by the name of Elizabeth Pate from his home. Ms. Pate told Mr. Linscombe that she believed her acquaintance, Defendant James Buck, was trying to kill her. Deputy Travis Castille, a patrol deputy with the Vermilion Parish Sheriff's Office (VPSO), was one of the first officers on the scene. He testified that Ms. Pate was in an upstairs bedroom, was frantic and

jumpy, and kept grabbing a pair of kitchen knives but would put them down before

grabbing them again. Deputy Castille testified that although Ms. Pate did not

4 threaten anyone with the knives, she kept picking them up and seemed terrified, so he and Deputy Shawn Faulk handcuffed her and escorted her out of the house. Deputy Castille stated that although Ms. Pate was not cooperative, she was not charged with any crime. Furthermore, she was eventually taken to the hospital for medical attention as she admitted to being on methamphetamine.

Deputy Shawn Faulk, a field training officer with the VPSO, testified that he was the second officer on the scene with Deputy Castille. Deputy Faulk corroborated Deputy Castille’s description of Ms. Pate’s actions.

Lieutenant Dale Hargrave, a shift commander in the VPSO’s patrol division, testified that he went out to Mr. Linscombe’s residence and learned that there was a female in a panic. Lieutenant Hargrave described Ms. Pate as being intoxicated and paranoid, and she kept saying, in reference to Defendant, that “[h}e was going to kill me. He was about to kill me. He was going to kill me.”

Sergeant Jerath Bessard, a narcotics detective with the VPSO, testified that he was called out due to Ms. Pate’s aliegations that Defendant had illegal narcotics in his house. He testified that Ms. Pate appeared to be under the influence of drugs and told him that she had been getting high with Defendant and Craig Guillory before going to a location across the street from Mr. Linscombe with Defendant, at which time Defendant tried taking her into the woods to kill her. Sergeant Bessard testified that he questioned Ms. Pate twice, and she told him she had been getting high on methamphetamine with Defendant and Craig Guillory that day and that there was a large quantity of methamphetamine still at Defendant’s home. Sergeant Bessard testified that he included information in the affidavit for a search warrant that Ms. Pate had admitted to smoking methamphetamine with Defendant and Craig Guillory and that he obtained the address of Defendant’s home based

upon Ms. Pate’s directions on how to reach the home. He also noted that Ms. Pate

5 was taken to the hospital following her interview because “[s]he was using drugs.” Sergeant Bessard noted that execution of the search warrant resulted in the recovery of “[a]pproximately 6.8 grams of methamphetamine, three and a half, I think, Xanax pills, one suspected Adderall, $1,202 in US currency, and about fifteen guns,” some of which were found near the methamphetamine.

Finally, Lieutenant Sammy Laporte, a homicide detective with the VPSO, testified that he spoke to Ms.

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