Oregon Supreme Court

State v. Jackson

November 17, 2021368 Or. 705

Summary

The Oregon Supreme Court affirmed the circuit court’s order, holding that it had jurisdiction to hear the interlocutory appeal because the statutory phrase “suppressing evidence” includes any pre‑trial exclusion, and that the doctrine of chances alone does not make the other crime‑scene DNA evidence relevant without a prohibited character‑based inference. Consequently, the state’s evidence was properly excluded.