Justia Civil Rights Opinion Summaries
Articles Posted in U.S. 9th Circuit Court of Appeals
George v. Morris, et al.
Plaintiff filed suit under 42 U.S.C. 1983 alleging that deputies used excessive force against her late husband and that a deputy unreasonably seized her when he kept her from the crime scene. At issue was whether a reasonable jury could determine that the deputies violated the Constitution when they fatally shot the husband - an armed homeowner on his patio. In this instance, the court concluded that a reasonable fact-finder could conclude that the deputies' use of excessive force was constitutionally excessive where, among other things, the husband was not in the vicinity when the deputies arrived and plaintiff appeared unscathed and not in jeopardy. Accordingly, the court concluded that the deputies were not entitled to qualified immunity. The court dismissed plaintiff's cross-appeal for lack of jurisdiction. View "George v. Morris, et al." on Justia Law
Krechman v. County of Riverside
Plaintiff filed suit under 42 U.S.C. 1983, alleging that police officers used excessive force which resulted in her son's death. On appeal, plaintiff challenged the district court's grant of judgment as a matter of law to defendants under Federal Rule of Civil Procedure 50(a). The court held that the district court did not correctly conclude as a matter of law that the pre- and post-handcuffing conduct of defendants did not violate the son's constitutional rights and that no negligence occurred. The standard used by the district court was not correct where the district court judge's analysis was infected by impermissible credibility assessments. Accordingly, the court reversed and remanded the case for a new trial. The court declined to reassign the case where, despite the district court judge's error of law, the court had no reason to believe that the judge would be unable fairly and correctly to apply the Rule 50(a) standard on remand. View "Krechman v. County of Riverside" on Justia Law
Quin v. County of Kauai Dep’t of Transp.
Plaintiff filed suit alleging that her employer discriminated against her based upon her sex. While pursuing the discrimination action, plaintiff filed for Chapter 7 bankruptcy, failing to list the bankruptcy action in her bankruptcy schedules. The employer subsequently filed a motion for summary judgment in the discrimination action on the ground that judicial estoppel prohibited plaintiff from proceeding. The district court agreed and granted summary judgment in favor of the employer. However, the court vacated the judgment and remanded for further proceedings, holding that the district court applied the wrong legal standard in determining whether plaintiff's bankruptcy omission was "mistaken" or "inadvertent." View "Quin v. County of Kauai Dep't of Transp." on Justia Law
Strong v. Valdez Fine Foods, et al.
Plaintiff, a C-5 quadriplegic, filed suit alleging unlawful discrimination under the Americans with Disabilities Act (ADA), 42 U.S.C. 12101 et seq., and related California disability laws, claiming that Peter Piper Pizza prevented him from moving around the restaurant. At issue was whether any barriers interfered with plaintiff's ability "to participate in or benefit from the goods, services, facilities, privileges, advantages, or accommodations" of the restaurant. Plaintiff missed the period for disclosing his expert and, instead, incorporated the expert's pronouncements into his own presentation, putting forth the expert as a rebuttal expert. The district court granted summary judgment in favor of defendants, concluding that plaintiff lacked personal knowledge of the barriers he encountered and that his declaration was insufficient. The court reversed and remanded, concluding that the district court abused its discretion in discounting defendant's evidence as lacking personal knowledge and constituted improper expert testimony. The district court also erred in requiring a showing that removal of any barriers was "readily achievable." View "Strong v. Valdez Fine Foods, et al." on Justia Law
Woods v. Carey
The parties dispute whether the Prison Litigation Reform Act (PLRA), 42 U.S.C. 1997e(d)(2), limited the amount that plaintiff, a prisoner who qualified as a prevailing party who would ordinarily be entitled to an award of attorney's fees, could recover from defendant for attorney's fees incurred in defending his judgment on appeal to 150 percent of the monetary relief awarded to him at trial. The court held that the fee cap in section (d)(2) did not apply to attorney's fees earned in conjunction with an appeal in which prison officials sought unsuccessfully to reverse a verdict obtained by the prisoner before the district court. The court granted plaintiff's motion for attorney's fees on appeal and referred the matter to the Appellate Commissioner to determine the amount of such fees, as well as the amount of reimbursable costs. View "Woods v. Carey" on Justia Law
Tritz v. U.S. Postal Service
Plaintiff filed suit against the Postal Service for breach of prior settlement agreements, as well as various other claims related to her employment at the Postal Service. The district court dismissed plaintiff's breach of contract claim for lack of subject matter jurisdiction, holding that the Tucker Act, 28 U.S.C. 1491(a)(1), granted the Court of Federal Claims exclusive jurisdiction to hear breach of contract claims against the Postal Service that put more than $10,000 in controversy. The district court also dismissed seven of plaintiff's claims for lack of subject matter jurisdiction because plaintiff had not complied with the Federal Tort Claims Act (FTCA), 28 U.S.C. 2675(a), and held that plaintiff's three remaining claims were barred by res judicata. The court concluded that, even assuming that the Tucker Act conferred jurisdiction on the Court of Federal Claims to hear claims against the Postal Service, the Postal Reorganization Act (PRA), 39 U.S.C. 401 and 409, also vested the district court with independent jurisdiction over such claims. Therefore, the court reversed the district court's determination that it lacked subject matter jurisdiction to hear plaintiff's breach of contract claim. Although the district court had subject matter jurisdiction to consider plaintiff's breach of contract claim, it did not err in dismissing it because she failed to state a claim upon which relief could be granted. None of her remaining claims were viable and, therefore, the court affirmed the dismissal of her complaint. View "Tritz v. U.S. Postal Service" on Justia Law
California Ass’n of Rural Health Clinics v. Douglas
The Clinics filed suit challenging California Welfare and Institutions Code 14131.10, which eliminated certain Medi-Cal benefits that the state deemed optional, including adult dental, podiatry, optometry, and chiropractic services. The court reversed the district court's holding that the Clinics have a private right of action to challenge the Department's implementation of the state plan amendments (SPA) prior to obtaining approval; affirmed that the Clinics have a private right of action to bring a claim pursuant to 42 U.S.C. 1983 challenging the validity of section 14131.10; and reversed the district court's interpretation of the Medicaid Act, 42 U.S.C. 1396 et seq., holding that section 14131.10 impermissibly eliminated mandatory services from coverage. View "California Ass'n of Rural Health Clinics v. Douglas" on Justia Law
Chamness v. Maldonado
Plaintiffs challenged the constitutionality of certain sections of California Senate Bill 6 (SB 6). SB 6, implementing California's Proposition 14 (Prop. 14), fundamentally changes the California election system by eliminating party primaries and general elections with party-nominated candidates, and substituting a nonpartisan primary and a two-candidate runoff. The court concluded that it had jurisdiction over the appeal; Plaintiff Chamness' case was not moot where his claim was capable of repetition because future election administrators would deny him the ability to use the designation "Independent" on the primary ballot; Plaintiffs Frederick's and Wilson's appeal were moot because they only sought declaratory relief affecting future elections; and Intervenor Galacki's claims regarding his write-in candidacy and the vote he cast for himself in the general election were moot. In Case No. 11-56449, the court held that Chamness failed to establish that SB 6 severely burdened his rights, and upheld the constitutionality of the statute as reasonably related to furthering the state's important interest in efficiently regulating elections. In Case No. 56303, the court held that the trial court acted well within its discretion in concluding that allowing Galacki to intervene would entail substantial delays and inefficiencies resolving the case, and in therefore denying Galacki's motion as untimely. Accordingly, the court affirmed the trial court's order granting defendants summary judgment and denying Galacki's motion to intervene. View "Chamness v. Maldonado" on Justia Law
Ohno v. Yasuma
Plaintiff sued defendant and the Church in Japan, alleging that they had tortiously induced her to transfer nearly all of her assets to the Church. After the Japanese courts awarded plaintiff a tort judgment, the Church contended that the judgment imposed liability for its religious teachings in violation of its constitutional right to free exercise of religion. The court affirmed the district court's judgment in favor of plaintiff, holding that the district court's recognition and enforcement of the judgment did not constitute "state action" triggering direct constitutional scrutiny. The court also held that neither the Japanese judgment nor the cause of action on which it was based rose to the level of repugnance to the public policy of California or of the United States that would justify a refusal to enforce the judgment under California's Uniform Foreign-Country Money Judgments Recognition Act, Cal. Civ. Proc. Code 1713-1724. View "Ohno v. Yasuma" on Justia Law
Barnard v. Theobald
Plaintiff sued police officers for their alleged use of excessive force in violation of plaintiff's Fourth Amendment rights. Plaintiff was awarded compensatory damages after a jury found that the officers' use of force was constitutionally excessive. Both parties cross-appealed. The court affirmed the district court's entry of judgment on the jury's verdict because the officers were not entitled to qualified immunity. The court held, however that the district court abused its discretion by failing to adequately explain its decision to reduce the amount awarded to plaintiff and in denying plaintiff pre-and post-judgment interest. Accordingly, the court reversed those portions of the district court's orders, remanding for further proceedings. View "Barnard v. Theobald" on Justia Law