Justia U.S. 9th Circuit Court of Appeals Opinion Summaries
May v. Ryan
Appellant sought habeas corpus relief, arguing that he was deprived of his Sixth Amendment right to counsel because the defense lawyer who represented him in his child molestation trial in Arizona state court was ineffective. After the jury reported that it was deadlocked and the judge declared a mistrial, the jury requested permission to resume deliberations. Appellant's counsel did not object and the jury convicted appellant on all grounds.The Ninth Circuit held that appellant's counsel was not ineffective because, on the facts of this case, it was a reasonable prediction that appellant had a better chance of a more favorable verdict from the existing jury on the existing trial record than he would from a retrial. View "May v. Ryan" on Justia Law
Redgrave v. Ducey
The Ninth Circuit certified the following question to the Arizona Supreme Court: Has Arizona consented to damages liability for a State agency's violation of the minimum wage or overtime provisions of the federal Fair Labor Standards Act? View "Redgrave v. Ducey" on Justia Law
Posted in:
Labor & Employment Law
Milam v. Harrington
The Ninth Circuit vacated the district court's dismissal of a petition for habeas corpus as time-barred. The panel held that the district court erred in its refusal to consider whether petitioner's claimed impairment was the cause of the untimeliness of the federal filing, despite his representation by state habeas counsel, and that the district court applied the wrong legal standard in evaluating whether state habeas counsel's misconduct supported equitable tolling. In this case, because the district court thought abandonment was required, it did not consider whether petitioner's state habeas counsel's misconduct qualified as an "extraordinary circumstance" under all the facts of this case. Accordingly, the panel remanded for the appropriate analysis. View "Milam v. Harrington" on Justia Law
Citizens for Free Speech, LLC v. County of Alameda
The Ninth Circuit affirmed the district court's dismissal of a 42 U.S.C. 1983 action, alleging constitutional violations arising from the County's enforcement of its billboard ordinance through an abatement proceeding. The panel agreed with the district court that all the elements required for Younger abstention were present where the abatement proceeding was ongoing, constitutes a quasi-criminal enforcement action, implicates an important state interest in its land-use ordinances and in providing a uniform procedure for resolving zoning disputes, and allows litigants to raise a federal challenge. Furthermore, plaintiffs' federal action could substantially delay the abatement proceeding, thus having the practical effect of enjoining it.The panel also affirmed the district court's order awarding attorney's fees and costs. The panel held that the district court did not abuse its discretion in determining that plaintiffs' action was frivolous at the outset. The panel also held that the County was the prevailing party where the district court's Younger-based dismissal effected a material change in the parties' relationship because it eliminated the possibility that plaintiffs' federal lawsuit would halt or impede the County's abatement proceeding. View "Citizens for Free Speech, LLC v. County of Alameda" on Justia Law
Posted in:
Civil Rights, Constitutional Law
Tresóna Multimedia, LLC v. Burbank High School Vocal Music Ass’n
The Ninth Circuit affirmed the district court's grant of summary judgment to defendants in an action brought by plaintiff, a licensing company, alleging that the Burbank High School student show choirs failed to obtain licenses for their use of copyrighted sheet music in arranging a show choir performance.The panel held that plaintiff lacked standing to sue as to three of the four musical works at issue, and that the defense of fair use rendered the use of the fourth work noninfringing. In regard to the three works, plaintiff received its interests in the three songs from individual co-owners of copyright, without the consent of the other co-owners, and therefore held only nonexclusive licenses in those works. The panel held that the use of the fourth work was a fair use in light of the limited and transformative nature of the use and the work's nonprofit educational purposes in enhancing the educational experience of high school students. Finally, the panel held that the district court abused its discretion in denying defendants' motion for attorneys' fees under 17 U.S.C. 505, and remanded for the calculation of the award. View "Tresóna Multimedia, LLC v. Burbank High School Vocal Music Ass'n" on Justia Law
Posted in:
Copyright, Intellectual Property
Walker v. Life Insurance Company of the Southwest
Plaintiffs filed a class action against LSW, a life insurance company, alleging that it violated California law concerning policy investment information. Plaintiffs argued that LSW's illustrations of potential earnings violate California's Unfair Competition Law.The Ninth Circuit affirmed the district court's class certification order, holding that any misapplication of Briseno v. ConAgra Foods, Inc., 844 F.3d 1121, 1133 (9th Cir. 2017), did not meaningfully influence the district court's predominance analysis. Furthermore, the panel held that there was no separate error related to the class definition. The panel also held that plaintiffs' attempted appeals of the district court's certification and reconsideration orders are untimely and procedurally improper. Therefore, the panel did not reach the merits of plaintiffs' arguments regarding the certification decision. Finally, the panel denied plaintiffs' motion to take judicial notice of the petition to appeal and the insurer's answer. View "Walker v. Life Insurance Company of the Southwest" on Justia Law
Posted in:
Class Action
Brown v. Barclay
After debtor made unauthorized and fraudulent transfers of funds during the Chapter 13 proceeding, the bankruptcy court converted the proceedings to Chapter 7 in response, and then debtor argued that the transferred funds were no longer in the estate.The Ninth Circuit affirmed the Bankruptcy Court and the Bankruptcy Appellate Panel's determination that the transferred funds should remain property of the Chapter 7 estate, which would mean that the Chapter 7 trustee had authority to recover them. The panel held that debtor transferred the funds with the fraudulent purpose of avoiding payments to creditors and those funds remained within his constructive possession or control. Therefore, the funds should be considered property of the converted estate under 11 U.S.C. 348(f)(1)(A). View "Brown v. Barclay" on Justia Law
Posted in:
Bankruptcy
Winter v. Gardens Regional Hospital & Medical Center, Inc.
The Ninth Circuit reversed the district court's dismissal of a qui tam action brought by relator under the False Claims Act, alleging that defendants submitted, or caused to be submitted, Medicare claims falsely certifying that patients' inpatient hospitalizations were medically necessary.After determining that it had jurisdiction, the panel held that a plaintiff need not allege falsity beyond the requirements adopted by Congress in the FCA, which primarily punishes those who submit, conspire to submit, or aid in the submission of false or fraudulent claims. The panel wrote that Congress imposed no requirement of proving "objective falsity," and the panel had no authority to rewrite the statute to add such a requirement. The panel held that a doctor’s clinical opinion must be judged under the same standard as any other representation. The panel explained that a doctor, like anyone else, can express an opinion that he knows to be false, or that he makes in reckless disregard of its truth or falsity. Therefore, a false certification of medical necessity can give rise to FCA liability. The panel also held that a false certification of medical necessity can be material because medical necessity is a statutory prerequisite to Medicare reimbursement. View "Winter v. Gardens Regional Hospital & Medical Center, Inc." on Justia Law
Posted in:
Government Contracts, Health Law
United States v. Walker
The Ninth Circuit affirmed the district court's application of a fifteen-year-minimum sentencing enhancement under the Armed Career Criminal Act (ACCA) to defendant's sentence for being a felon in possession of a firearm.The panel held that defendant's predicate domestic violence convictions under California Penal Code 273.5 qualified as categorical violent felonies, and that defendant's arguments to the contrary were foreclosed by United States v. Laurico-Yeno, 590 F.3d 818 (9th Cir. 2010), and its progeny. The panel rejected defendant's claim that the Sixth Amendment requires a jury, not a sentencing judge, to find that a defendant's prior convictions were for crimes on different occasions. Rather, the panel held that defendant's argument was foreclosed by United States v. Grisel, 488 F.3d 844 (9th Cir. 2007) (en banc), which held that a sentencing judge may find the dates of prior offenses in deciding if a defendant has committed three or more violent felonies. Therefore, the district court did not err in finding that defendant committed three separate offenses. View "United States v. Walker" on Justia Law
Posted in:
Criminal Law
United States v. Miller
The Ninth Circuit affirmed defendant's conviction of wire fraud and filing false tax returns. The jury found that defendant embezzled over $300,000 from the company for which he served as managing member and president.The panel overruled its prior decisions in light of the Supreme Court's intervening decision in Shaw v. United States, 137 S. Ct. 462 (2016), and held that wire fraud under 18 U.S.C. 1343 requires the intent to deceive and cheat, and that the jury charge instructing that wire fraud requires the intent to "deceive or cheat" was therefore erroneous. However, in this case, the panel held that the erroneous instruction was harmless. The panel noted that it was deeply troubled by an Assistant U.S. Attorney's disregard for elementary prosecutorial ethics, but that the misconduct did not entitle defendant to any relief. The attorney here had a personal and financial interest in the outcome of the case. The panel wrote that as soon as the Department of Justice became aware of the impropriety, it took every necessary step to cure any resulting taint, including turning over the entire prosecution of the case to disinterested prosecutors from the Southern District of California. Finally, the panel found defendant's remaining arguments to be without merit. View "United States v. Miller" on Justia Law