Bracken v. Chung

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Plaintiff filed suit under 42 U.S.C. 1983, alleging defendant, an off-duty police officer working as security for a private event, violated his rights under the Due Process Clause of the Fourteenth Amendment by failing to intercede and stop an assault. The Ninth Circuit reversed the district court's grant of summary judgment based on qualified immunity and on the merits. The panel held that defendant may not assert qualified immunity because he was not serving a public, governmental function while being paid by the hotel to provide private security. On the merits, the panel held that a reasonable jury could find that defendant exposed plaintiff to harm he would not otherwise have faced, that this harm was foreseeable, and that defendant acted with deliberate indifference in the presence of the known danger created by his conduct. View "Bracken v. Chung" on Justia Law