Reed v. Lieurance

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Plaintiff filed suit alleging that Deputy Doug Lieurance's issuance of a misdemeanor citation to plaintiff for obstructing a buffalo herding operation violated plaintiff's constitutional rights. The Ninth Circuit held that defendants were not entitled to summary judgment on the unlawful seizure claim because the panel could not conclude as a matter of law that a reasonably prudent officer in the deputy's situation would have had probable cause to believe plaintiff committed obstruction and the district court improperly weighed evidence favorable to plaintiff against other evidence presented, failing to draw all inferences in plaintiff's favor; the district court did not first provide plaintiff notice and an opportunity to respond before dismissing the failure-to-train claim for failure to satisfy Rule 12(b)(6); the district court abused its discretion by excluding the entirety of plaintiff's police practices expert's testimony; the district court committed reversible procedural error in granting judgment as a matter of law on plaintiff's First Amendment and related state claims without first providing him notice of the grounds for the decision; the district court improperly resolved numerous factual disputes reserved for the jury; and the panel lacked jurisdiction to review the district court's denial without prejudice of defendants' attorney fees motion. Accordingly, the court dismissed in part, reversed in part, and remanded. View "Reed v. Lieurance" on Justia Law