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← 395 Ill. App. 3d 560 - People v. COMAGE

395 Ill. App. 3d 560 - People v. COMAGE’s Empirical Analysis

2009

Citation profile

1
cited by 1 later decisions
1
states following
February 2011
most recently cited

1 state decisions

Relationships

Relies on 219 Ill. 2d 182 - Price v. Philip Morris, Inc. · 314 N.J. Super. 440 - State v. Sharpless · State v. Fuqua · 315 Ill. App. 3d 641 - In Re MF · 666 So. 2d 131 - Simmons v. State

Most-quoted passages

The sentences later courts lift from this opinion, ranked by how many decisions quote each — the parts of the opinion doing the work. These counts are smaller than the citation total above because most of the 1 citing decisions cite the case generally; a passage count includes only decisions quoting that exact language verbatim.

  1. ““Defendant did not merely drop the evidence along his flight path, but threw it over a six-foot, wooden privacy fence. Defendant could have reasonably anticipated that the police may not see him throw the evidence over the fence. Fortunately for the police, the area where defendant threw the evidence happened to be a well-lit, empty parking lot, making retrieval of the evidence possible. For the foregoing reasons, defendant’s affirmative act constitutes concealment of the evidence under the obstruction-of-justice statute.” 395 Ill. App. 3d at 567 .”
    1 later decision quote this exact passage · from the majority

How this case has been treated — in progress

Whether each later court followed, distinguished, criticized, or overruled this decision. The treatment classification (task #35) runs highest-cited cases first and lights up here as it reaches this one.