United States v. Arterbury, 961 F.3d 1095 (10th Cir. June 9, 2020)

Reversing a denial of a motion to suppress, the Tenth Circuit applied the doctrine of collateral estoppel to criminal proceedings, clarified that the doctrine remains available under the federal common law independent of the Due Process Clause, and held that the district court was bound by a prior order in a separate proceeding suppressing the evidence.