Ames v. King County

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Plaintiff filed suit against King County and King County Sheriff's Deputies, under 42 U.S.C. 1983, alleging, inter alia, that Deputy Volpe violated her Fourth Amendment rights by arresting her without probable cause, conducting an unreasonable seizure, using excessive force during the arrest, and conducting an unlawful search of her truck. Deputies Volpe, Sawtelle, and Christian appealed the district court’s denial of qualified immunity on the excessive force and unlawful search claims. The court concluded that the deputies are entitled to qualified immunity in this case because the government's interests at stake - providing life-saving emergency medical care and to protect first responders and other motorists from potential harm - outweighed any intrusion on plaintiff's Fourth Amendment rights. The court thought that Deputy Volpe’s use of force in this case was reasonable in response to the totality of the circumstances. Furthermore, Deputies Sawtelle and Christian did not violate plaintiff's Fourth Amendment rights when they searched her truck in an attempt to find the medications plaintiff's son had ingested in his overdose. Accordingly, the court reversed and remanded for entry of dismissal. View "Ames v. King County" on Justia Law