Question

In U.S. v. White, involving incriminating statements heard by law enforcement because of warrantless electronic eavesdropping of defendant White's coconspirator, the Supreme Court held that:
a. live participant monitoring was reasonable under the Fourth Amendment, but electronic eavesdropping was not.
b. White had no reasonable expectation of privacy in his conversation with the co-conspirator.
c. three-party bugging jeopardizes our sense of security and therefore was unreasonable.
d. the use of government informants in the respondent's home violated the Fourth Amendment.

Answer

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