Rahul Sharma (Editor)

Dunaway v. New York

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Majority
  
Brennan

Concurrence
  
Stevens

Concurrence
  
White

Full case name
  
Irving Jerome Dunaway v. State of New York

Citations
  
442 U.S. 200 (more) 99 S.Ct. 224; 860 L.Ed.2d 824

Prior history
  
People v. Dunaway, 42 A.D.2d 689, 346 N.Y.S.2d 779 (1973) aff'd, 35 N.Y.2d 741, 320 N.E.2d 646 (1974) vacated sub nom. Dunaway v. New York, 422 U.S. 1053, 95 S. Ct. 2674, 45 L. Ed. 2d 705 (1975), on remand 38 N.Y.2d 812, 813, 345 N.E.2d 583, 583 (1975), appeal after remand, 61 A.D.2d 299, 402 N.Y.S.2d 490 (1978)

Dunaway v. New York, 442 U.S. 200 (1979), was a United States Supreme Court case that held a subsequent Miranda warning is not sufficient to cure the taint of an unlawful arrest, when the unlawful arrest led to a coerced confession.

Contents

Background

Dunaway was picked up by Rochester police and taken to the police station for questioning in regards to an attempted robbery and homicide at a pizza parlor. The police did not have probable cause to arrest Dunaway, but had he tried to leave, they would have used force to prevent it. Dunaway was read his rights under Miranda and subsequently confessed.

Supreme Court

Justice Brennan delivered the opinion of the Court. He stated that the police violated the Fourth and Fourteenth Amendments when they arrested Dunaway without probable cause and took him to the police station for interrogation. This type of detention was determined to intrude on interests protected by the Fourth Amendment. It is therefore necessary to safeguard against illegal arrest. Proper Miranda warnings did not attenuate the misconduct of the police and the confession should have been suppressed.

References

Dunaway v. New York Wikipedia