This case is in a pre-trial posture on charges of a Hobbs Act robbery, brandishing a firearm during a crime of violence, bank robbery, and being a felon in possession of a firearm.
Multiple Motions to Suppress were filed based on a number of searches, including a motion to suppress cell site data obtained through the Stored Communucations Act.
The Court rejected the CSLI Motion to suppress on the grounds of the good faith exception based on 11th Circuit precedent of United States v. Joyner, 899 F.3d 1199, 1204-05 (11th Cir. 2018).
For a discussion of United States v. Joyner on this blog, see:
The case is United States v. Gibbs, 2018 U.S. Dist. LEXIS 204505,
2018 WL 6331341 (N.D. GA) December 4, 2018.