Likewise, in Hampton v. U.S., the court approved the use of an informant to set up heroin sales between the suspect and undercover agents. The court repeated that such deception of a suspect does not constitute entrapment, unless government conduct "implants in the mind of an innocent person the disposition to commit the alleged offense and induce its commission." Because Hampton was a known heroin user and dealer with a predisposition to commit the crime, he was not entrapped by the police deception.
Official misconduct will often require undercover investigation. In Lopez v. U.S., for example, an IRS agent who was approached by a businessman who offered him bribes contacted federal investigators and became a wired informant for his subsequent meetings with the suspect. Accepting this tactic as necessary and proper for such crimes, the court said, "The risk of being overheard by an eavesdropper or deceived as to the identity of one with whom one deals is probably inherent in the conditions of human society. It is the kind of risk we assume whenever we speak."
A similar result was reached in Hoffa v. U.S., where a government informant infiltrated the inner circle of a labor racketeer and obtained evidence of jury tampering. The court rejected a claim that this use of an undercover operative violated the Fourth Amendment: "Neither this Court nor any member of it has ever expressed the view that the Fourth Amendment protects a wrongdoer's misplaced belief that a person to whom he voluntarily confides his wrongdoing will not reveal it."
Although the court found possible entrapment in U.S. v. Jacobson, based on the government's consistent efforts over two-and-a-half years to solicit a man with no proven criminal predisposition to order child pornography, the court nevertheless recognized that law enforcement could legitimately conduct less extensive undercover operations. Said the court, "There can be no dispute that the Government may use undercover agents to enforce the law. It is well settled that the fact that officers or employees of the government merely afford opportunities or facilities for the commission of the offense does not defeat the prosecution. Artifice and stratagem may be employed to catch those engaged in criminal enterprises."
Illinois v. Perkins involved the use of an undercover officer, posing as a fellow cellmate, to gain the confidence of a murder suspect and obtain incriminating statements. The Supreme Court rejected the claim that statements obtained by such trickery should be inadmissible under Miranda, saying that "Miranda forbids coercion, not mere strategic deception. Ploys to mislead a suspect or lull him into a false sense of security that do not rise to the level of compulsion or coercion to speak are not within Miranda's concerns."