Brittingham v. Town of Georgetown

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At issue in this case was whether the Superior Court abused its discretion by declining to exercise its mandamus jurisdiction to remedy various alleged violations of the Law Enforcement Officers’ Bill of Rights (LEOBOR). Petitioners-appellants Shawn Brittingham and Christopher Story sought mandamus relief for several alleged violations of LEOBOR while they were police officers with the Georgetown Police Department (GPD). Respondents-appellees Town of Georgetown, Georgetown Chief of Police William Topping, and Captain Ralph Holm moved for summary judgment. The Superior Court granted the motion, thereby denying Brittingham and Story’s petition. In 2007, Chief Topping issued an oral order prohibiting GPD officers from meeting or speaking with the mayor or members of the Town Council to discuss internal police business without first obtaining his permission and going through the chain of command. In spite of this order, seven off-duty officers met with a Town Council member at her home to discuss police department issues. Captain Holm learned of the meeting, and informed appellants and the other officers involved that they were being investigated for violating GPD Rules and Regulations. A written reprimand was offered to each officer. Rather than accept the reprimand, appellants elected to request a hearing as to the allegations made against them (namely, for insubordination) with the Criminal Justice Council (CJC). The panel found substantial evidence to support the insubordination charge. Chief Topping imposed discipline against appellants: Brittingham received a four-week suspension without pay and a fourteen-day reduction in rank, and placed on disciplinary probation for a year; Story received a two-week suspension without pay, a seven-day reduction in rank, and disciplinary probation of a year. The officers appealed to the Town's Disciplinary Action Appeals Board, which upheld the CJC panel. Appellants filed a civil complaint against appellees, claiming (amongst other things) a violation of their First Amendment rights. On appeal, appellants argued that the process afforded them did not comply with LEOBOR, and that their only remedy was a mandamus writ ordering vacatur of the resulting disciplinary decisions. Appellees responded that they did not violate LEOBOR, that Appellants’ claims are now moot, and that the Superior Court did not abuse its discretion in denying the requested relief. After review, the Supreme Court found that Brittingham and Story were correct that a technical violation of LEOBOR occurred, but the Court rejected their claims as to all other alleged violations. However, as to the one meritorious claim, the matter was moot because neither Brittingham nor Story were then-employed by the GPD, and because the relief they sought was not relief that was available to them in a mandamus proceeding. Accordingly, the Court affirmed the Superior Court’s decision as to all claims but one, and as to that claim, the Court held that the claim was moot. View "Brittingham v. Town of Georgetown" on Justia Law