Boulger v. Woods

306 F. Supp. 3d 985
CourtDistrict Court, S.D. Ohio
DecidedJanuary 24, 2018
DocketCase No.: 2:17–cv–186
StatusPublished
Cited by22 cases

This text of 306 F. Supp. 3d 985 (Boulger v. Woods) is published on Counsel Stack Legal Research, covering District Court, S.D. Ohio primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Boulger v. Woods, 306 F. Supp. 3d 985 (S.D. Ohio 2018).

Opinion

GEORGE C. SMITH, JUDGE

This matter is before the Court upon two motions by Defendant James Woods: (1) a Motion for Judgment on the Pleadings, filed June 7, 2017 (Doc. 7); and (2) a Motion for Summary Judgment, or in the Alternative, Motion for Dismissal, filed August 15, 2017 (Doc. 16). The motions are both fully briefed and ripe for disposition. For the following reasons, Woods's Motion for Summary Judgment, or in the Alternative, Motion for Dismissal is DENIED and Woods's Motion for Judgment on the Pleadings is GRANTED .

I. FACTUAL BACKGROUND

The relevant facts occurred against the backdrop of the 2016 U.S. Presidential campaign. The parties are Plaintiff Portia Boulger, "a very active volunteer and pledged convention delegate for U.S. Senator Bernie Sanders (D-Vt)" for the Democratic Party's nomination, and Defendant James Woods, "a well-known movie actor and producer who has appeared in a number of films including The Way We Were, The Onion Field, and Once Upon a Time in America ." (Doc. 1, Compl. ¶¶ 2, 6).

On Friday, March 11, 2016, the campaign of Donald J. Trump, then a candidate for the Republican nomination for President, held a rally in Chicago, Illinois. (Id. ¶ 7). That evening, the Chicago Tribune newspaper posted on its Twitter account a photograph of a woman at the rally, wearing a Trump T-shirt, and "giving a Nazi salute-the well-known 'Heil Hitler' salute with her right hand raised straight up." (Id. ¶ 8). On Saturday, March 12, the Twitter user @voxday posted the *990photograph, together with a photograph of Boulger and caption identifying Boulger as "Organizer (Women for Bernie)." (Doc. 7, PAGEID # 61, screenshot). The two photographs and caption were accompanied by the (false) statement, "The 'trump Nazi' is Portia Boulger, who runs the Women for Bernie Sanders Twitter account. It's another media plant.' " (Doc. 7, PAGEID # 61).

Within minutes of @voxday's tweet, Defendant James H. Woods tweeted the same two photographs and caption along with the comment, "So-called #Trump 'Nazi' is a #BernieSanders agitator/operative?" (Id. ¶ 12; Doc. 9-1, screenshot). Woods's Twitter account has more than 350,000 followers and the tweet in question was re-tweeted more than 5,000 times, including by Mr. Trump's son, Donald Trump, Jr. (Doc. 1, Compl. ¶¶ 13, 19).

Later that same Saturday, the woman who gave the salute at the rally was correctly identified by various newspapers and twitter users as Birgitt Peterson of Yorkville, Illinois. (Doc. 1, Compl. ¶¶ 15, 17-18). Woods then tweeted, still on that same Saturday, that "Various followers have stated that the Nazi Salute individual and the #Bernie campaign woman are NOT the same person. #Chicago #Trump." (Doc. 7, PAGEID #62, screenshot). However, Woods did not delete his earlier tweet containing the photographs of Peterson and Boulger. (Doc. 1, Compl. ¶ 19).

On March 22, 2016, counsel for Boulger wrote to counsel for Woods, requesting that Woods delete the tweet and issue, through Twitter, a retraction and apology. (Id. ¶ 21). Woods's counsel denied that the tweet was defamatory but asked Woods to delete the tweet, which he did on March 22, 2016. (Id. ¶ 22). On March 23, 2016, Boulger's counsel again contacted Woods counsel and demanded a public retraction and apology. (Id. ¶ 23). On March 23, 2016, Woods posted three new tweets:

(i) "I have an opportunity to clarify something I challenged immediately when it hit Twitter. Portia A. Boulger was NOT the 'Nazi salute lady.' "
(ii) "Ms. Boulder [sic] has reached out to me and asked me to use my many followers to stop people from harassing her. I am more than happy to do so."
(iii) "Though she supports @BernieSanders, I am happy to defend her from abuse. I only wish his supporters would do the same for other candidates."

(Id. ¶ 24).

During the period from March 12-March 23, 2016, while Woods' tweet remained posted on his Twitter account, Boulger received hundreds of obscene and threatening messages, including death threats. (Id. ¶ 26). Boulger has also received telephone calls at her residence, continuing through the time she filed her Complaint, from callers who hung up when the phone was answered. (Id. ¶ 27).

II. PROCEDURAL HISTORY

Boulger filed her Complaint against Woods on March 3, 2017, asserting two claims:defamation and invasion of privacy. (Doc. 1). On June 1, 2017, Boulger filed a motion for extension of time to complete service of process on Woods, as the 90 days for completion of service allowed by Federal Rule of Civil Procedure 4(m) was about to expire. (Doc. 4). Boulger described in her motion the efforts her counsel had undertaken in attempting to serve Woods:

• On March 8, 2017, Boulger's counsel contacted Michael Weinstein, the lawyer who had acted for Woods *991when Boulger's counsel requested a retraction of and apology for the March 12, 2016 tweet. Boulger's counsel asked Weinstein whether he would accept service of the summons and complaint on behalf of Woods. (Id. at 4).
• On March 15, 2017, Weinstein responded by stating he was not authorized to accept service and was not sure what lawyer would be defending the case; but that "if I am ultimately retained for the case, I'll be able to address it with you then." (Id. ; Doc. 4-3, email exchanges).
• Boulger's counsel used the database service PeopleFinder to attempt to find an address for Woods in Los Angeles. The database returned a last known address for Woods on Wilshire Boulevard in Beverly Hills, California. On March 23, 2017, Boulger's counsel mailed a copy of the Summons, Complaint, Notice of Lawsuit and Request to Waive Service, two copies of the Waiver of Service form and a self-addressed stamped envelope to the Wilshire Boulevard address. That package was returned marked "Addressee Unknown." (Doc. 4 at 4).
• On April 12, 2017, Weinstein confirmed that he had not been retained by Woods in this matter and was not authorized to accept service. (Id. ; Doc. 4-3, email exchanges).
• Also on April 12, 2017, Patrick Kasson contacted Boulger's counsel by telephone, stating that he had been retained to represent Woods in this matter. Kasson asked Boulger's counsel to send him the Complaint, Notice of Lawsuit and Request to Waive Service, and the Waiver of Service form. Boulger's counsel provided all of these documents to Kasson that same day via email. (Doc. 4 at 4; Doc. 4-5, email exchanges).
• On April 13, 2017, Kasson emailed Boulger's counsel and stated that he had not agreed to accept service on behalf of Woods as "I am not authorized to do that yet. I asked that you send over a waiver form." (Id. ).
• Boulger's counsel followed up with Kasson via email on April 24, 2017, but received no response. (Doc. 4 at 5).
• On May 8, Boulger's counsel spoke with Kasson on the phone, and Kasson stated that Woods had not authorized him to accept service.

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306 F. Supp. 3d 985, Counsel Stack Legal Research, https://law.counselstack.com/opinion/boulger-v-woods-ohsd-2018.