California v. Byers
Encyclopedia
California v. Byers, 402 U.S. 424 (1971), was a case in which the Supreme Court of the United States
Supreme Court of the United States
The Supreme Court of the United States is the highest court in the United States. It has ultimate appellate jurisdiction over all state and federal courts, and original jurisdiction over a small range of cases...

 decided that providing personal information at the scene of an accident does not infringe on one's Fifth Amendment
Fifth Amendment to the United States Constitution
The Fifth Amendment to the United States Constitution, which is part of the Bill of Rights, protects against abuse of government authority in a legal procedure. Its guarantees stem from English common law which traces back to the Magna Carta in 1215...

 privilege against self-incrimination
Self-incrimination
Self-incrimination is the act of accusing oneself of a crime for which a person can then be prosecuted. Self-incrimination can occur either directly or indirectly: directly, by means of interrogation where information of a self-incriminatory nature is disclosed; indirectly, when information of a...

.

Prior history

Jonathan Byers proceeded for writ of prohibition to restrain the Justice Court from proceeding further on a complaint of violation of California
California
California is a state located on the West Coast of the United States. It is by far the most populous U.S. state, and the third-largest by land area...

's "hit and run statute.". The Superior court granted the writ and the People appealed. The Supreme Court of California
Supreme Court of California
The Supreme Court of California is the highest state court in California. It is headquartered in San Francisco and regularly holds sessions in Los Angeles and Sacramento. Its decisions are binding on all other California state courts.-Composition:...

 held that the state's "hit and run statute" was valid, but prosecution was precluded from using information disclosed as a result of compliance, or the fruits of such information. Compliance confronted Byers with "substantial hazards of self-incrimination" in violation of his Fifth Amendment privilege. California appealed to the US Supreme Court
Supreme Court of the United States
The Supreme Court of the United States is the highest court in the United States. It has ultimate appellate jurisdiction over all state and federal courts, and original jurisdiction over a small range of cases...

, which granted certiorari
Certiorari
Certiorari is a type of writ seeking judicial review, recognized in U.S., Roman, English, Philippine, and other law. Certiorari is the present passive infinitive of the Latin certiorare...

.

Plurality opinion of the Court

In a plurality opinion of four, Chief Justice Burger concluded that "hit and run" statutes were not criminal, but regulatory in nature. Such statutes put the burden of compliance on the public at large rather than on a group of suspected criminals, and the possibility of self-incrimination was not substantial. Therefore, there was no significant infringement on Byers' privilege against self-incrimination. Relying on United States v. Sullivan, 274 U.S. 259 (1927), the Chief Justice wrote that even with the possibility that compliance under the statute were an incrimination per se, an extension of Fifth Amendment protection would be an "extreme if not extravagant application." The Chief Justice analogized that just as there is no constitutional right to refuse to file a tax return
Tax protester arguments
Tax protester arguments are a number of objections raised by individuals who deny that a person has a legal obligation to pay a tax for which the United States government has determined that person is liable....

, there is no constitutional right to flee the scene of an accident.

Concurring opinion by Justice Harlan

Justice Harlan concurred in the result. He wrote that the purpose of the "hit and run" statute was non-criminal and the fear of self-incrimination was not enough to create actual self-incrimination in violation of the privilege. He noted that the state received very little information from the requirement and still endured a burden of proof at trial for all elements of the criminal offense. The risk of self-incrimination was not the same as actual incrimination. Justice Harlan noted that there were a line of cases that restricted the use of compulsory, self-reporting information for prosecutorial purposes, but they should be limited and not overruled.

Black dissent

Justice Black's dissent noted that the compulsory information from the "hit and run" statute was used to satisfy a material element of the offense. The requirement applied to those "involved in an accident resulting in damage," satisfying the material elements of the crime of property damage. Although the statute applied to a broad class of all California drivers, as applied in this particular case it violated Byers Fifth Amendment privilege. Justice Black found Byers self-report to be testimonial in nature.

Brennan dissent

Justice Brennan concluded that it was the position of the court to make the Bill of Rights "relevant to contemporary conditions" (as opposed to traditional or historical interpretations of the Bill of Rights). He criticized the plurality for making broad determinations on the tension between state law and constitutional protections writing, "only rivers of confusion can flow from lakes of generalities." Justice Brennan found that the record in the instant case resulted in a conviction from self-incrimination and that it was unnecessary to address any broader issues. He concluded that an individual could only be compelled to comply with the statute if given full immunity for prosecution. This differed substantially from the California Supreme Court ruling that would merely make such information inadmissible.
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