United States v. Lundin

47 F. Supp. 3d 1003, 2014 WL 2918102, 2014 U.S. Dist. LEXIS 88058
CourtDistrict Court, N.D. California
DecidedJune 26, 2014
DocketCase No. 13-cr-00402-JST-1
StatusPublished
Cited by8 cases

This text of 47 F. Supp. 3d 1003 (United States v. Lundin) is published on Counsel Stack Legal Research, covering District Court, N.D. California primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
United States v. Lundin, 47 F. Supp. 3d 1003, 2014 WL 2918102, 2014 U.S. Dist. LEXIS 88058 (N.D. Cal. 2014).

Opinion

Re: ECF No. 28

ORDER GRANTING IN PART AND DENYING IN PART DEFENDANT’S MOTION TO SUPPRESS

JON S. TIGAR, United States District Judge

I. INTRODUCTION

Defendant Eric Eugene Lundin (“Defendant” or “Lundin”) is charged with a single [1007]*1007count of being a felon in possession of a firearm, in violation of 18 U.S.C. § 922(g)(1). ECF No. 1. Lundin now moves to suppress evidence and statements obtained by officers of the Humboldt County Sheriffs Office (“HCSO”) and the Areata Police Department (“APD”) on April 23 and 24, 2013. Defendant’s Motion to Suppress; Request for Evidentiary Hearing (“Motion”), ECF No. 28. The matter came for hearing May 30, 2014.

II. BACKGROUND

A. Factual Background

1. Alleged April 22 Kidnapping and Assault

In response to a report of a kidnapping victim being treated in a hospital’s emergency room in Areata, California, HCSO Deputy Scott Aponte arrived at the hospital at approximately 12:30 a.m. on April 23, 2013 and interviewed Susan Hinds, the reported kidnapping victim. Declaration of Humboldt County Sheriffs Deputy Scott Aponte (“Aponte Deck”) ¶3 (ECF No. 32-2); Exh. A to Declaration of Frederick W. Anderson (“Anderson Deck”), at C0002 (ECF No. 30-1). According to Hinds, as relayed to Aponte, the following transpired during the evening of April 22, beginning at about 8:00 p.m. Exh. A to Anderson Deck, at C0002; Exh. A1 to Declaration of Geoffrey Hansen (“Hansen Deck”) at C0093 (ECF No. 29-2).

Hinds was at her home while her son, Joseph Miller, was at the store. Exh. A to Hansen Deck, at C0093. Hinds opened her front door in response to a knock and saw Defendant Eric Lundin, known to Hinds as “Whitey,” whom she thought of as a friend and who had served prison time with Miller. Id. at C0094, C0110, C0122. Lundin grabbed Hinds by the neck, pushed his way into the residence, and accused Miller of stealing Lundin’s marijuana that he grew in his home. Id. at C0094, 0112. Hinds said “[Lundin] grows pot. I guess he has a card, whatever.” Id. at C0113. Lundin mentioned several times that his two daughters had been with him when he was robbed. Id. at C0116, C0122, C0133, C0150 (ECF Nos. 29-3 & 29-4).

While in Hinds’ residence, Lundin made Hinds take pills Lundin described as methadone, which he told Hinds would cause her to overdose. Id. at C0095-96, 104-05 (ECF No. 29-2). He also pulled out two handguns from his pockets (a silver one and a larger black one), put one of the guns against Hinds’ temple, had her call Miller to tell him to come home, broke Hinds’ television by striking it with a gun, and broke Hinds’ cellphone by throwing it across the room. Id. at C0101-102, 106.

During this series of events, according to Hinds, Lundin told Hinds multiple times she was going to die and that he “leaves no witnesses.” Id. at C0096. Lundin also stated, “You know that’s what us Mongols do ... [w]e leave no witnesses — none of them.” Id. at C0105-06. During her interview with Deputy Aponte, Hinds asked Aponte, “Is the Mongols bad?” to which Deputy Aponte responded, “It’s a, uh, motorcycle gang — kind of like the Hell’s Angels. They’re like the Hell’s Angels’ rivals.” Id. at C0134 (ECF No. 29-3).

Next, as recounted by Hinds to Deputy Aponte, Lundin forced Hinds into his truck and drove out of the trailer park in which Hinds lived. Id. at C096 (ECF No. 29-2). They passed Miller on their way out, at [1008]*1008which point Lundin told Hinds to “[w]ave good-bye to your son. You’ll never see him again.” Id. at C0108. Lundin also ordered Hinds take more of the supposed methadone pills. Id. at C0096. Later, Lundin contacted Miller over the phone and during their conversation, Lundin appeared to change his mind regarding Miller’s involvement in the theft of Lundin’s marijuana. Id. at C0109-10. Lundin then returned Hinds to her trailer park and explained that he had no intention of killing her but only wanted to scare her. Id. at C0110,115.

Shortly after concluding his interview with Hinds, Aponte interviewed Miller, who was also present at the hospital. Exh. A to Hansen Deck, at C0147-160 (ECF No. 29 — 4). Miller stated that “I guess someone went to rob his [Lundin’s] house,” and that “all ... [Lundin’s] weed’s there. He’s doing a grow. He’s a Mongol.” Id. at C0147. Miller described receiving Lundin’s call from his truck at about 10:00 p.m. Id. at C0149. Miller reported that Lundin told him he was “going to get his Mongol brothers to get [Miller] arid whatever.” Id. at C0150.

2. April 23 Search, Seizure and Questioning

Deputy Aponte then “contacted dispatch and requested a BOLO [“Be On the Lookout”] be issued for Lundin.” Aponte Deck ¶ 6 (ECF No. 34-2); Exh. A to Anderson Deck, at C0003 (ECF No. 30-1). Deputy Aponte “also requested that ... [Lundin] be arrested pursuant to CahPenal Code § 836 for burglary, false imprisonment, kidnapping, vandalism, brandishing a firearm, administering a drug to commit a felony, administering a controlled substance, and battery.” Aponte Deck ¶ 6; Exh. A to Anderson Deck, at C0003. “At this time ... [Deputy Aponte] believe[s] that there was ample probable cause to seek and obtain a warrant for Lundin’s arrest.” Aponte Deck ¶ 7. Deputy Aponte appears to have begun preparing an incident report on these events at 2:23 a.m. Exh. A to Anderson Deck, at C0001.

After receiving the BOLO, APD Officer Matthew O’Donovan drove to Lundin’s home. Declaration of Areata Police Officer Matthew O’Donovan (“O’Donovan Deck”) ¶¶ 3-4 (ECF No. 34-1). Officer O’Donovan observed a vehicle that had been described as Defendant’s, and saw that “[t]he lights were on inside the home.” Id. ¶ 4. O’Donovan called for backup and was joined by APD Officer Jeremiah Kasinger, APD Sergeant Keith Altizer, and HCSO Deputy Matthew Tomlin. Id. ¶ 5. “At approximately 0354 hours,” Officers O’Donovan and Kasinger and Deputy Tomlin approached the front door. Id. ¶ 5. Officer O’Donovan knocked on the door, waited about thirty seconds, and knocked again more loudly. Id. ¶ 6.

After the second knock, Officer O’Donovan and Deputy Tomlin “heard a series of loud crashes coming from the rear of the residence.” Id. ¶ 7; see also Exh. A to Anderson Deck, at C0008 ( ECF No. 30-1) (incident report of Deputy Tomlin that “I heard a crashing noise to the rear of the residence.”). The officers “loudly identified [them]selves as police, and shouted for Defendant to put his hands in the air and come out slowly.” O’Donovan Deck ¶ 7; see also Exh. A to Anderson Deck, at C0008 (incident report of Deputy Tomlin that “I started shouting at whoever was on the back patio to come out with their hands up”). “The fence surrounding the backyard was tall, but ... [the officers] could hear Defendant moving around in the backyard.” O’Donovan Deck ¶ 8. “Defendant exited the backyard and was taken into custody by Deputy Tomlin.” Id. Deputy Tomlin directed Lundin into a prone position on the ground, placed him into handcuffs, and had him sit in Deputy [1009]*1009Tomlin’s car. Exh. A to Anderson Decl., at C0008.

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Cite This Page — Counsel Stack

Bluebook (online)
47 F. Supp. 3d 1003, 2014 WL 2918102, 2014 U.S. Dist. LEXIS 88058, Counsel Stack Legal Research, https://law.counselstack.com/opinion/united-states-v-lundin-cand-2014.