American Atheists, Inc. v. Duncan

528 F. Supp. 2d 1245, 2007 U.S. Dist. LEXIS 85621, 2007 WL 4166045
CourtDistrict Court, D. Utah
DecidedNovember 20, 2007
Docket2:05CV00994 DS
StatusPublished
Cited by7 cases

This text of 528 F. Supp. 2d 1245 (American Atheists, Inc. v. Duncan) is published on Counsel Stack Legal Research, covering District Court, D. Utah primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
American Atheists, Inc. v. Duncan, 528 F. Supp. 2d 1245, 2007 U.S. Dist. LEXIS 85621, 2007 WL 4166045 (D. Utah 2007).

Opinion

MEMORANDUM DECISION

DAVID SAM, Senior District Judge.

This matter is before the court to address the following pending motions: Plaintiffs’ Motion for Partial Summary Judgement Re: Christian Cross as Religious Symbol (#27); Intervenor-Defen-dant UHPA’s Motion for Summary Judgment and Request for Hearing (# 176); Plaintiffs’ Motion for Partial Summary Judgment Re: Standing, Etc (# 110); Plaintiffs’ Motion for Summary Judgment (incorporating Plaintiffs’ Pending Motion for Partial Summary Judgment as to Message of a Christian Cross, Plaintiffs’ Pending Motion re: Affirmative Defenses, In-tervener’s Pending Motion for Summary Judgment) (# 163); State Defendants’ Motion for Summary Judgment (Establishment of Religion) (# 165). Plaintiffs, the State Defendants, and Intervener-defen-dant Utah Highway Patrol Association appeared before the court for oral argument on November 13, 2007.

Statement of Undisputed Material Facts

1. The Utah Highway Patrol Association (“UHPA”), is a private, nonprofit Utah corporation that supports the Utah Highway Patrol (“UHP”) officers and their families.

2. The UHPA is not a religious organization.

3. The UHPA supports and represents the interests of fallen troopers and their families.

4. The idea for the UHPA Fallen Trooper Memorial program began after twenty-seven year old Trooper William J. Antoniewicz was ambushed and killed near the Utah-Wyoming border.

*1248 5. UHPA President Lee Perry helped conceive of the memorial program after he learned that there was nothing to memorialize the spot where Trooper Antoniewicz had fallen.

6. Families of other fallen troopers contacted the UHPA requesting that similar memorials be erected for their lost loved ones as well.

7. The UHPA obtained the consent of at least one family member for each memorial erected.

8. No family member has ever requested any symbol other than the cross as the basis of the memorial. Because the UHPA exists to serve family members of highway patrolmen, the UHPA would provide another memorial symbol if requested by the family.

9. Memorials to fallen troopers were originally placed on private property, with the owner’s consent, at or near where the trooper died. After a while, the UHPA obtained permission from the State of Utah, including the Utah Department of Transportation, to erect roadside memorials on state property to hon- or state troopers who died in the line of duty.

10. Permission was granted by Utah Department of Transportation to erect the memorials in rest areas, view areas, etc., and UDOT has established a procedure for UHPA to secure permission to erect its memorial crosses.

11. UHPA sought and received permission from the State of Utah, Division of Facilities. Construction & Management to erect the two (2) existing memorial crosses at the Utah Highway Patrol offices, 5770 South 320 West, Murray, Utah, as well as additional crosses as the need arises.

12. The UHPA decided to honor thirteen troopers by placing memorials at or near the location where the trooper died or was mortally injured while serving in the fine of duty.

13. The UHPA chose the locations where the memorials are placed because they were (1) visible to the public; (2) safe to stop and view; and (3) as close to the actual spot of the trooper’s death as possible.

14. At each location, the UHPA erected a twelve-foot white metal cross, bearing a plaque with the picture of the trooper and his or her biography.

15. The memorials also bear the Utah Highway Patrol logo and the trooper’s name, rank, and badge number and the year the trooper died in large black font.

16. The UHPA was authorized to use the UHP logo on the memorials to fallen peace officers because the officers were Utah State Highway Patrol Troopers.

17. The UHPA did not use any state funds to finance its memorial efforts; rather the UHPA created, designed, funded, erected, and maintains the memorials.

18. The Utah Department of Transportation (“UDOT”) took no part in designing or selecting the memorial cross.

19. The stated purpose of the UHPA memorial is: a. To memorialize troopers who died in the line of service; b. Remind the traveling public of the service and sacrifice of the troopers on the highways and elsewhere in Utah; c. Remind the *1249 traveling public to drive safely and vigilantly.

20. A highly motivating factor in the selection of the memorial cross was UHPA’s belief that only a cross could effectively convey the simultaneous messages of death, honor, remembrance, gratitude, sacrifice, and safety.

21. The UHPA also chose the white cross because it is commonly used as a memorial symbol in cemeteries, particularly government owned/sponsored military cemeteries in this country and elsewhere in the world.

22. The UHPA chose the white cross because such crosses are a time-honored medium for memorializing soldiers, and the fallen troopers it represents are entitled to the same high honor because each of them died in the line of duty for their fellow citizens.

23. The UHPA chose a memorial symbol which combined a white, 12 foot high steel cross, large black lettering, and the conspicuous beehive logo to conspicuously and immediately convey the death of a Utah Trooper to observers that drive by the memorials.

24. The official Utah Highway Patrol beehive logo placed on the memorial cross is approximately sixteen inches wide and twelve inches high and hangs just below the place where the arms of the cross intersect.

25. The UHPA did not intend to convey a religious message when it selected the cross as a memorial symbol.

26. White crosses are used to remind motorists of the dangers of the road.

27. The corporate plaintiff American Atheists, Inc. is a non-profit Texas corporation.

28. Individually named plaintiffs are members of American Atheists, Inc. and are adult citizens and residents of the State of Utah.

29. American Atheists, Inc. is established for the purpose of advocating, laboring for, promoting ... the Jeffersonian concept of complete and absolute separation of church and state.

30. The cross has historically been associated with Christianity and used by many Christian churches as a religious symbol.

31. Crosses are found prominently on the steeples and the spires of buildings, churches, and cathedrals of many Christian faiths in and outside of Utah. Christian crosses are displayed on the fronts of church buildings, in the worship areas of Catholic and Episcopal churches and on the vestments of clerics and jewelry worn by members of various Christian faiths.

32. A majority of Utahns, approximately fifty-seven percent, are members of the Church of Jesus Christ of Latter-day Saints.

33. Neither the Church of Jesus Christ of Latter-day Saints nor its members use the cross as a symbol of their religion or in their religious practices.

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Related

Utah Highway Patrol Ass'n v. American Atheists, Inc.
181 L. Ed. 2d 379 (Supreme Court, 2011)
Simpson v. United States
565 U.S. 994 (Supreme Court, 2011)
American Atheists, Inc. v. Davenport
637 F.3d 1095 (Tenth Circuit, 2010)
American Atheists, Inc. v. Duncan
616 F.3d 1145 (Tenth Circuit, 2010)
Trunk v. City of San Diego
568 F. Supp. 2d 1199 (S.D. California, 2008)

Cite This Page — Counsel Stack

Bluebook (online)
528 F. Supp. 2d 1245, 2007 U.S. Dist. LEXIS 85621, 2007 WL 4166045, Counsel Stack Legal Research, https://law.counselstack.com/opinion/american-atheists-inc-v-duncan-utd-2007.