BAKER v. GOODMAN

CourtDistrict Court, D. Maine
DecidedFebruary 19, 2020
Docket2:19-cv-00251
StatusUnknown

This text of BAKER v. GOODMAN (BAKER v. GOODMAN) is published on Counsel Stack Legal Research, covering District Court, D. Maine primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
BAKER v. GOODMAN, (D. Me. 2020).

Opinion

UNITED STATES DISTRICT COURT DISTRICT OF MAINE

TERRY R. BAKER et al., ) ) Plaintiffs, ) ) v. ) 2:19-cv-00251-JAW ) NICHOLAS GOODMAN et al., ) ) Defendants. )

ORDER ON MOTION TO DISMISS COMPLAINT Shortly after a pawn shop sold a customer a BB rifle,1 a police officer shot and killed the customer in the parking lot outside the pawn shop. Personal representatives of the estate of the decedent filed suit against the pawn shop, alleging that it was negligent in selling the BB rifle to the decedent and in failing to notify the police that its customer possessed not a firearm but a BB rifle. Concluding that, despite the tragedy here, the pawn shop owed no legal duty to the decedent or his legal representatives under current Maine law, the Court grants the pawn shop’s motion to dismiss the complaint.

1 The Complaint alleges that Chance D. Baker purchased an “air rifle,” Aff. of John J. Wall, III, Attach. 3, Compl. (ECF No. 3) (Compl.) ¶¶ 1, 25, 98, 100-02, 104-05, 107, an “air rifle BB gun,” id. ¶¶ 15-18, a “BB gun,” id. ¶¶ 19, 22, 28-29, 53-56, 59, 64-65, 70-71, and an “air rifle pellet gun.” Id. ¶¶ 95-97, 99. Similarly, the parties use the terms “BB gun,” “air rifle,” and “air rifle BB gun” interchangeably in motions to refer to the non-lethal weapon Mr. Baker purchased in this case. Although a BB gun is a type of air gun, the more generic term, “air gun,” includes such guns as compressed air rifles. The Court assumes for the sake of this order that Mr. Baker bought a BB rifle at the pawn shop. I. BACKGROUND

A. Procedural History

On February 13, 2019, Terry R. Baker and Shantel L. Baker, acting as personal representatives of the estate of Chance D. Baker (Plaintiffs), filed a lawsuit in state of Maine Superior Court for Cumberland County pursuant to 42 U.S.C. § 1983, 5 M.R.S. § 4682, and 18-A M.R.S. § 2-804 against Portland Police Sergeant Nicholas Goodman, Lewiston Pawn Shop, Inc. d/b/a Coastal Trading & Pawn (Lewiston Pawn),2 and John Doe. Aff. of John J. Wall, III, Attach. 1, Docket R. (ECF No. 3); Compl. The Plaintiffs alleged that Sergeant Goodman used excessive and deadly force against Chance D. Baker on February 18, 2017, in Portland, Maine and thereby violated his rights under the United States and Maine Constitutions. Compl. ¶ 1. Sergeant Goodman answered the Complaint on June 24, 2019. Answer to Compl. and Affirmative Defenses and Demand for Jury Trial (Nicholas Goodman) (ECF No. 11). The Plaintiffs also alleged that Lewiston Pawn and its employee or manager, John Doe, were negligent under state of Maine common law in selling Mr. Baker a BB rifle when he was noticeably intoxicated and suffering from a mental breakdown. Compl.

¶ 1.

2 The Plaintiffs filed their complaint against Coastal Pawn Shop. Compl. ¶ 6. Since then, however, the Defendant store stated that its correct legal name is Lewiston Pawn Shop, Inc. doing business as Coastal Trading & Pawn, Def. Lewiston Pawn Shop, Inc. d/b/a Coastal Trading & Pawn’s (Incorrectly Named as Coastal Pawn Shop) Mot. to Dismiss at 1 (ECF No. 9) (Lewiston Pawn Mot.). At the February 13, 2020, hearing, the store made an oral motion to drop Coastal Pawn Shop and add Lewiston Pawn Shop, Inc., d/b/a Coastal Trading & Pawn as the Defendant store pursuant to Federal Rule of Civil Procedure 21, Oral Mot. to Substitute Party Pursuant to Federal Rule 21 to Terminate Def. Costal Pawn Shop and Add Def. Lewiston Pawn Shop d/b/a Coastal Trading & Pawn (ECF No. 21), and, without objection, the Court granted the oral motion to drop and add the parties. Oral Order Granting Without Obj. Mot. to Substitute Party (ECF No. 22). On June 3, 2019, Sergeant Goodman removed this case from state to federal court. Notice of Removal (ECF No. 1). On June 20, 2019, Lewiston Pawn filed a motion to dismiss the complaint and a request for oral argument. Lewiston Pawn

Mot. On July 12, 2019, the Plaintiffs responded to the motion to dismiss. Pls.’ Resp. to Def. Lewiston Pawn Shop, Inc. d/b/a Coastal Trading & Pawn’s Mot. to Dismiss (ECF No. 16) (Pls.’ Opp’n.). On July 25, 2019, Lewiston Pawn replied. Reply in Supp. of Mot. to Dismiss (ECF No. 18) (Lewiston Pawn Reply). On July 26, 2019, the Court granted the motion for oral argument, Order Granting Mot. for Oral Argument/Hr’g (ECF No. 19), and the Court held the oral argument on February 13, 2020. Notice of

Hr’g on Mot. to Dismiss (ECF No. 20); Min. Entry (ECF No. 23). B. The Factual Allegations in the Complaint as Against Lewiston Pawn

Terry R. Baker is the maternal grandmother and Shantel L. Baker the mother of Chance D. Baker and they are personal representatives of his estate. Compl. ¶¶ 2- 3. In February 2017, when the events of this case happened, Mr. Baker was twenty- two years old and a resident of Portland. Id. ¶¶ 1, 4. Lewiston Pawn was a duly licensed business in Portland and an individual named in the Complaint as John Doe, but whose real name was unknown to the Plaintiffs, was acting as an employee or manager of Lewiston Pawn. Id. ¶¶ 6-7. On February 18, 2017, Mr. Baker was suffering from mental health issues and was drinking alcohol. Id. ¶¶ 8-9. At approximately 11:00 a.m., Mr. Baker walked to Union Station Plaza, a moderate size strip mall in Portland at the intersection of Congress Street and St. John Street. Id. ¶¶ 10-11. Mr. Baker went into Lewiston Pawn, a pawn shop in Union Station Plaza. Id. ¶ 13. It was apparent to the employees inside Lewiston Pawn that Mr. Baker was intoxicated based on his movements, the odor of intoxicants, and his speech. Id. ¶ 14. Mr. Baker purchased

a BB rifle, a non-lethal weapon, from Lewiston Pawn. Id. ¶¶ 15-16. A BB rifle is smaller than an actual firearm and is made with a distinct wood stock. Id. ¶ 17. A reasonable police officer can tell the difference between a BB rifle and an actual firearm.3 Id. ¶ 18. After purchasing the BB rifle, Mr. Baker walked out of Lewiston Pawn into Union Station Plaza and was unsteady on his feet. Id. ¶¶ 19-20. Mr. Baker fell onto

his back on the sidewalk, several people became concerned due to his condition and possession of a BB rifle, and several people called 911. Id. ¶¶ 21-22. Dispatch received the 911 calls at about 11:11 a.m. Id. ¶ 23. Sergeant Goodman, along with several other Portland police officers, responded to a call from dispatch and arrived at Union Station Plaza at approximately 11:17 a.m. Id. ¶¶ 24, 31, 40. Mr. Baker pumped the BB rifle, put it down, drank from a beer bottle, picked the BB rifle back up, and then assumed a crouching position, holding the BB rifle parallel to the ground

below his knees. Id. ¶¶ 55, 59-60, 64-65. At roughly 11:19 a.m., Sergeant Goodman shot Mr. Baker in the head. Id. ¶¶ 66-69. Mr. Baker was taken to the hospital, where he was pronounced dead from Sergeant Goodman’s gunshot wound. Id. ¶ 78.

3 This statement is a mixed allegation of law and fact. As discussed below, when evaluating a motion to dismiss, a court must first “distinguish ‘the complaint’s factual allegations (which must be accepted as true) from its conclusory legal allegations (which need not be credited).’” García-Catalán v. United States, 734 F.3d 100, 103 (1st Cir. 2013) (quoting Morales-Cruz v. Univ. of P.R., 676 F.3d 220, 224 (1st Cir. 2012)). For the purposes of this Order, the Court accepts as true only the factual part of this statement. C. The Complaint’s Legal Theories Against Lewiston Pawn In their Complaint, the Plaintiffs set out three counts against Lewiston Pawn and John Doe: (1) Count Five, negligence, (2) Count Six, wrongful death, and (3)

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BAKER v. GOODMAN, Counsel Stack Legal Research, https://law.counselstack.com/opinion/baker-v-goodman-med-2020.