Terebesi v. Torresso, et al.

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This case arose out of a botched SWAT-style raid that resulted in the fatal shooting of plaintiff's houseguest (Gonzalo Guizan) and injury to plaintiff. Plaintiff and Guizan's estate filed suit against law enforcement officers, alleging, inter alia, civil rights violations under 42 U.S.C. 1983 and state tort claims. On appeal, defendants challenged the district court's order granting in part and denying in part defendants' motions for summary judgment based on their assertions of qualified immunity. The court reversed the judgment of the district court insofar as it determined that Chief Solomon was not entitled to qualified immunity from liability for the decision - standing alone - to activate the SWERT tactical team; affirmed the judgment of the district court insofar as it held that plaintiff's claims implicated clearly established constitutional law with respect to the planning and approval of the raid, the use of stun grenades, the actions of Officers Sweeney and Weir, the alleged knock-and-announce violations, and the duty of police to intervene in constitutional violations by fellow officers; and dismissed defendants' arguments in other respects because the appeal relied on disputed facts. The court remanded for further proceedings. View "Terebesi v. Torresso, et al." on Justia Law