Federal 7th Circuit Court
Criminal Court
Motion to Suppress
In a case returning to the appellate court after it remanded the cause for a Franks hearing on defendant’s challenge to an affidavit supporting an application to search a hotel room for drugs, defendant contested the district court’s findings during that hearing and the subsequent denial of his motion to suppress. The Seventh Circuit found no error in the district court’s findings of the witnesses' credibility and affirmed. (HAMLTON and BRENNAN, concurring)