Justia Civil Rights Opinion Summaries
Articles Posted in Non-Profit Corporations
Davis v. Devereux Foundation
Plaintiff Roland Davis had been a resident of the Devereux New Jersey Center (operated by Defendant Devereux Foundation) since shortly before his twelfth birthday. Plaintiff was diagnosed with autism, mental retardation, pervasive developmental disorder and attention deficit hyperactivity disorder, and had a history of combative and aggressive behavior. Plaintiff's mother (as his guardian) filed a complaint alleging breach of a "non-delegable duty" to protect Plaintiff from harm, negligent care and supervision, and vicarious liability after a counselor assaulted Plaintiff. The trial court granted Devereux's motion for summary judgment, finding that to the extent claims were for negligence, they were barred by the Charitable Immunity Act (CIA). The court further concluded that New Jersey law does not compel imposing a "non-delegable duty" upon Devereux. The Appellate Division affirmed in part, also finding no "non-delegable duty," and reversed in part, holding that a reasonable jury could find that the counselor acted in part within the scope of her employment. The issues on appeal to the Supreme Court were: (1) whether to impose upon an institution that cares for developmentally disabled residents a "non-delegable duty" to protect them from harm caused by employees' intentional acts; and (2) whether the employee in this case could be found to have acted within the scope of her employment when she criminally assaulted the resident, thereby subjecting the non-profit facility to liability pursuant to "respondeat superior." The Court reaffirmed the duty of due care imposed upon caregivers with in loco parentis responsibilities to persons with developmental disabilities. However, applying the analysis set forth and developed by prior opinions, the parties' relationship, the nature of the risk, the opportunity and ability to exercise care, and public policy, the Court concluded the circumstances of this case did not justify imposing on caregivers a "non-delegable duty" to protect residents from harm caused by employees' intentional acts. Furthermore, the Court held that no rational factfinder could find that the Devereux counselor's criminal assault on Plaintiff was conducted within the scope of her employment.
Intermountain Fair Housing, et al. v. Boise Rescue Mission, et al.
Plaintiffs alleged that defendant, a non-profit Christian organization operating a residential drug treatment program and two homeless shelters, engaged in religious discrimination in providing shelter and residential recovery services in violation of the Fair Housing Act (FHA), 42 U.S.C. 3601-3631. At issue was the extent of the protection afforded by the FHA against religious discrimination. The court affirmed summary judgment for defendant and held that, even assuming that section 3604(a) and (b) applied to defendant's homeless shelters, the FHA's religious exemption permitted the practices challenged by plaintiffs in this case. Therefore, the court expressed no view on the merits of defendant's arguments about the proper scope of section 3604(a) and (b) and the proper definition of "residence" in section 3602(b). The court also affirmed summary judgment on the sex discrimination claim because there was no evidence to establish that defendant treated the men in its parallel drug treatment program any differently than it treated the women and the interference, coercion, or intimidation claim claim because plaintiffs had not exercised a right granted to them by section 3604.