Justia Civil Rights Opinion Summaries
Articles Posted in US Court of Appeals for the Eighth Circuit
Free and Fair Election Fund v. Missouri Ethics Commission
The Eighth Circuit affirmed the district court's order permanently enjoining enforcement of a recently enacted provision of the Missouri Constitution, Missouri Constitution Article VIII, Section 23.3(12), which prohibits a political action committee from receiving contributions from other political action committees. The court held that the prohibition unconstitutionally infringed on a political action committee's First Amendment rights to freedom of speech and association. The court held that the amendment violated the First Amendment as applied to political action committees (PACs) that donate only to candidates and to PACs that both donate to candidates and make independent expenditures, and the state did not have a sufficiently important interest in preventing contributions to a PAC that makes only independent expenditures. View "Free and Fair Election Fund v. Missouri Ethics Commission" on Justia Law
Comprehensive Health of Planned Parenthood Great Plains v. Hawley
The Eighth Circuit vacated a preliminary injunction enjoining provisions of Missouri Revised Statute section 197.200 (2007), which required a doctor who performs abortions at an ambulatory surgery center (ASC) to have surgical privileges at a licensed hospital in the community, and regulations issued by the Missouri Department of Health and Senior Services, which required a number of physical design and layout provisions for facilities performing abortions.The court held that a substantive due process challenge to the Physical Plant Regulations—governed by the "cost-benefit analysis" required by the undue burden standard—was not currently fit for judicial resolution given the paucity of evidence on how DHSS will grant waivers. Because the court lacked sufficient information to make a constitutional determination on the Physical Plant Regulations, the court remanded to the district court for further consideration. The court also held that the district court failed to apply the plain language of Whole Women's Health v. Hellerstedt, 136 S. Ct. 2292, as revised (June 27, 2016), when it enjoined the Hospital Relationship Requirement. Therefore, the court remanded for the district court, at the very least, to weigh the state's asserted benefits against the burdens associated with the requirement. View "Comprehensive Health of Planned Parenthood Great Plains v. Hawley" on Justia Law
Elbert v. Carter
In 2011, plaintiff filed suit against the city and others, in a 42 U.S.C. 1983 action alleging violations of the First and Fourth Amendments, as well as violations of state law. Plaintiff's claims stemmed from a no-knock forceful entry into a club.Before final judgment in the first action, plaintiff filed the present suit, alleging claims arising from the events occurring at the club on the night of the no-knock entry. The Eighth Circuit held that the district court correctly ruled that res judicata barred Counts 1, 2, 5, and 8, because they involved claims against the same parties from the first action, and plaintiff could have brought the new claims in the first action. As to the remaining counts, the court held that they were properly dismissed because these claims arose out of the same raid, and involved defendants who could have been joined in the first action. As the district court explained, allowing plaintiff to circumvent the district court's ruling on his untimely motion for leave to amend in the first action by bringing a second action against the new defendants would unreasonably burden the parties and the court. View "Elbert v. Carter" on Justia Law
Russo v. United States
The Eighth Circuit affirmed the district court's dismissal of petitioner's claim seeking post-conviction relief as untimely. Petitioner asserted that, in light of Johnson v. United States, the district court violated his rights under the Due Process Clause by sentencing him as a career offender based on the residual clause of USSG 4B1.2(a)(2). The court explained that whether Johnson restarted the one-year limitations period turns on whether Johnson "newly recognized" this asserted right. In this case, petitioner's asserted right was not dictated by Johnson. Rather, the better view was that Beckles v. United States, 137 S. Ct. 886 (2017), leaves open the question of whether the mandatory guidelines are susceptible to vagueness challenges. The court held that, because the question remains open, and the answer was reasonably debatable, Johnson did not recognize the right asserted by petitioner. Therefore, petitioner could not benefit from the limitations period in 28 U.S.C. 2255(f)(3), and the district court correctly dismissed his motion as untimely. View "Russo v. United States" on Justia Law
Sharbono v. Northern States Power Co.
The Eighth Circuit affirmed the district court's grant of summary judgment for Northern in an action alleging that the company failed to accommodate plaintiff's disability in violation of the Americans with Disabilities Act (ADA). The court held that plaintiff's arguments did not establish a genuine dispute of material fact that Northern did not interact in good faith as a matter of law. Under the circumstances, the timing of Northern's response was insufficient to support a finding that the company did not act in good faith; there was no evidence to support a finding that Northern prematurely abandoned the interactive process; and Northern did not attempt to demonstrate that some other boot would be as effective as a boot that conformed to the performance standards. View "Sharbono v. Northern States Power Co." on Justia Law
Wright v. United States
The Eighth Circuit held that the procedural element of the new substantive rule of constitutional law made retroactive in Montgomery v. Louisiana did not apply in this case and the district court did not err in denying successive habeas relief. The court held that petitioner's life sentence for conspiracy was based on conspiratorial conduct which extended well into his adult years and the sentence was imposed under an advisory guidelines regime that allowed the district court to consider his early participation as a juvenile, as well as other relevant mitigating factors. The court also held that petitioner's sentence of life plus 60 years did not violate the Eighth Amendment and the district court did not abuse its discretion in denying more comprehensive resentencing after it vacated his mandatory life sentence on one count under Miller v. Alabama and resentenced him. View "Wright v. United States" on Justia Law
Duhe v. City of Little Rock
The Eighth Circuit affirmed the district court's grant of summary judgment to defendants in a 42 U.S.C. 1983 action filed by plaintiffs and a nonprofit alleging that their arrests were without probable cause and violated the First Amendment, that the Arkansas disorderly conduct statute and a permit ordinance were unconstitutional, and that the County unconstitutionally detained plaintiffs. The court held that officers had probable cause to arrest plaintiffs for violating the Arkansas disorderly conduct statute based on their personal observations, as well as information provided to them; plaintiffs have standing to challenge the constitutionality of Arkansas's disorderly conduct statute, but the statute was not void for vagueness nor overbroad; plaintiffs did not have standing to challenge the constitutionality of Little Rock's Permit Ordinance, on its face and as applied, because they were not arrested or charged under the ordinance and they were not prohibited from protesting even though they had lacked a permit; and any delay in plaintiffs' release from jail did not violate their Fourth Amendment rights and was not unreasonable. View "Duhe v. City of Little Rock" on Justia Law
Patterson v. Kelley
The Eighth Circuit affirmed the district court's denial of plaintiff's motion for appointed counsel and adverse grant of summary judgment on plaintiff's failure to protect claims against various corrections officials after he sustained injuries when a fellow inmate attacked him. The court held that the district court had the discretion to appoint plaintiff counsel on this record, and it did not abuse this discretion in declining to do so. The court also held that insofar as plaintiff alleged that defendants failed to protect him from a specific threat posed by the inmate, his own inability to anticipate the surprise attack and his decision not to report his altercation with the inmate the previous afternoon defeated liability. Finally, assuming that plaintiff satisfied the objective component of his failure-to-protect claim, the record was devoid of evidence suggesting that any of defendants were subjectively aware of, or deliberately indifferent to, a substantial risk of harm to inmate safety. View "Patterson v. Kelley" on Justia Law
Durand v. Fairview Health Services
Plaintiffs, both of whom are hearing-impaired, and their daughter filed suit against Fairview, alleging that the hospital failed to provide meaningful access to auxiliary aids and services in the form of American Sign Language (ASL) interpreters and a teletypewriter (TTY) during the course of plaintiffs' son's terminal hospital stay. The Eighth Circuit affirmed the district court's grant of Fairview's motion for summary judgment, holding that Fairview did not fail to discharge its duty to provide effective communication. In this case, the evidence showed that plaintiffs were provided access to information, through interpreters, before and during their son's final hospitalization and provided ample opportunities for plaintiffs to ask questions that may have clarified their understanding of their son's condition. Furthermore, the facts were sufficient to establish that Fairview provided plaintiff with the requested auxiliary aid and offered assistance, which was declined, in setting up the device. The court also held that the daughter did not qualify for associational standing and Fairview was entitled to summary judgment as to her claims. View "Durand v. Fairview Health Services" on Justia Law
Brewington v. Keener
The Eighth Circuit affirmed the district court's grant of summary judgment to the county and to two sheriffs in an action brought by plaintiff under 42 U.S.C. 1983, alleging the use of excessive force. In this case, plaintiff was stopped by law enforcement after he stole items from a local Walmart. Plaintiff was kicked by one of the officers without provocation and that officer resigned and was terminated the next day. That officer subsequently pleaded guilty to criminal charges.The court held that plaintiff failed to prove the existence of an unconstitutional custom or policy; failed to show causation assuming there was such a custom or policy; and thus could not establish municipal liability. Therefore, the district court properly granted summary judgment for the sheriffs in their official capacities. The court rejected plaintiff's failure to train claim and held that one of the sheriffs was entitled to qualified immunity. Finally, the district court did not abuse its discretion in calculating attorneys' fees and costs. View "Brewington v. Keener" on Justia Law