Balogh v. Lombardi

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The ACLU filed suit against the director of the Missouri Department of Corrections, in his official capacity, under 42 U.S.C. 1983, alleging that Mo. Rev. Stat. 546.720 is unconstitutional as applied to department records the ACLU obtained under the Missouri Sunshine Law, Mo. Rev. Stat. 610.010 et seq., and then posted on its website. Section 546.720 prohibits the disclosure of the identities of individuals who participate in executions. On appeal, the director challenged the district court's order denying immunity. The court concluded that the ACLU has alleged an injury in fact because it has shown an objectively reasonable fear of legal action that chills its speech. The court concluded, however, that the ACLU’s injury is not fairly traceable to the director because he does not possess any statutory authority to enforce section 546.720, and the ACLU's injury is fairly traceable only to the private civil litigants who may seek damages under the statute and thereby enforce the statute. Therefore, the court concluded that the ACLU lacks standing. The court also concluded that the director is also immune from suit because he lacks authority to enforce the challenged statute. In this case, the director’s authority to define the members of the execution team is not an enforcement action within the meaning of Ex Parte Young and its progeny. Accordingly, the court reversed the district court's judgment. View "Balogh v. Lombardi" on Justia Law