In light of this evidence that a small, portable methamphetamine lab could fit inside a hotel trash can, as well as the agent's trial testimony that trash cans are common hiding places, the trial court did not err by denying Fontaine's motion to suppress. See Richardson v. State, 328 Ga.App. 519, 520(1), 759 S.E.2d 630 (2014) (in reviewing a trial court's ruling on a motion to suppress, we construe the evidence most favorably to uphold the court's findings and judgment). 2.