Because the defendant resembled a “mug shot” of a wanted person, the police had the right to approach him to request information. Because the defendant was in an area the wanted person was known to frequent, the police had the common-law right to inquire. The defendant’s flight provided reasonable suspicion to pursue and stop him. The defendant’s discarding of a gun during the chase, therefore, was not the result of improper police action. People vs Barrow, 2011-030059, Ind. No. 1356/09 Second Dept. 2-13-13
DeBour, street stops