Citizens for Responsibility and Ethics in Washington v. Trump

953 F.3d 178
CourtCourt of Appeals for the Second Circuit
DecidedSeptember 13, 2019
Docket18-474-cv
StatusPublished
Cited by15 cases

This text of 953 F.3d 178 (Citizens for Responsibility and Ethics in Washington v. Trump) is published on Counsel Stack Legal Research, covering Court of Appeals for the Second Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Citizens for Responsibility and Ethics in Washington v. Trump, 953 F.3d 178 (2d Cir. 2019).

Opinion

18-474-cv Citizens for Responsibility and Ethics in Washington v. Trump

1 UNITED STATES COURT OF APPEALS 2 FOR THE SECOND CIRCUIT 3 4 August Term, 2018 5 6 (Argued: October 30, 2018 Decided: September 13, 2019) 7 8 Docket No. 18‐474 9 10 _____________________________________ 11 12 Citizens for Responsibility and Ethics in Washington, Restaurant 13 Opportunities Centers United, Inc., Jill Phaneuf, and Eric Goode, 14 15 Plaintiffs‐Appellants, 16 17 v. 18 19 Donald J. Trump, in his official capacity as 20 President of the United States of America, 21 22 Defendant‐Appellee. 23 24 _____________________________________ 25 26 Before: 27 28 JOHN M. WALKER, PIERRE N. LEVAL, CHRISTOPHER F. DRONEY, 29 Circuit Judges. 30 31 Plaintiffs, who own and operate businesses in the hospitality industry, 32 appeal from the dismissal of their lawsuit by the United States District Court 33 for the Southern District of New York (George B. Daniels, J.). The district 34 court dismissed Plaintiffs’ suit on the grounds that Plaintiffs lack Article III 35 standing, they fall outside the zone of interests of the Emoluments Clauses, 36 their claims do not present a ripe case or controversy within the meaning of 37 Article III, and the case presents a non‐justiciable “political question.” 38 VACATED AND REMANDED. 39 40 Judge WALKER dissents in a separate opinion. 1 2 DEEPAK GUPTA, Gupta Wessler PLLC, 3 Washington, D.C. (Jonathan E. Taylor, 4 Joshua Matz, and Daniel Townsend, 5 Gupta Wessler PLLC, Washington, D.C.; 6 Joseph M. Sellers, Daniel A. Small, 7 Cohen Milstein Sellers & Toll PLLC, 8 Washington, D.C.; Norman L. Eisen, 9 Stuart C. McPhail, Adam J. Rappaport, 10 Citizens for Responsibility and Ethics in 11 Washington, Washington, D.C.; 12 Laurence H. Tribe, Harvard Law School, 13 Cambridge, MA, on the brief), for 14 Plaintiffs‐Appellants. 15 16 HASHIM M. MOOPPAN, Department 17 of Justice, Washington, D.C., (Chad A. 18 Readler, Michael S. Raab, Megan 19 Barbero, Department of Justice, 20 Washington, D.C., on the brief), for 21 Defendant‐Appellee. 22 23 LEVAL, Circuit Judge:

24 Plaintiffs—Eric Goode, a restaurateur and hotelier, and Restaurant

25 Opportunities Center United (“ROC”), a non‐partisan, member‐based

26 organization of restaurants and restaurant workers—appeal from the

27 judgment of the United States District Court for the Southern District of New

28 York (Daniels, J.) dismissing their complaint against Defendant Donald J.

29 Trump, the President of the United States, for lack of subject matter

2 1 jurisdiction. The complaint seeks declaratory and injunctive relief for the

2 President’s alleged violations of the Domestic and Foreign Emoluments

3 Clauses of the United States Constitution. The President moved to dismiss for

4 lack of subject matter jurisdiction pursuant to Federal Rule of Civil Procedure

5 12(b)(1), arguing that Plaintiffs did not have standing to sue. The district court

6 granted the motion, concluding that Plaintiffs lack Article III standing, they

7 fall outside the zone of interests of the Emoluments Clauses, their claims do

8 not present a ripe case or controversy within the meaning of Article III, and

9 their suit is barred by the political question doctrine. For the reasons below,

10 we vacate the judgment and remand for further proceedings.

11 A. BACKGROUND

12 Plaintiffs are in the hospitality industry.1 Plaintiff Goode owns high‐

13 end hotels, restaurants, and event spaces in the New York City area. Plaintiff

14 ROC counts among its members over 200 establishments, including high‐end

1 In proceedings before the district court, plaintiffs included Jill Phaneuf, who worked in the hospitality industry, and Citizens for Responsibility and Ethics in Washington (CREW), a non‐profit government watchdog. In Plaintiffs’ appellate briefing, CREW notified the court it is “no longer appealing the district court’s judgment” that CREW lacks standing. Additionally, Phaneuf left the job wherein she allegedly competed with Defendant’s businesses for diplomatic clientele, and Plaintiffs acknowledge that she “no longer has Article III standing to pursue her claims, which sought only prospective relief.” 3 1 restaurants and event spaces in New York City and Washington, D.C. The

2 Plaintiff establishments cater to foreign and domestic government clientele,

3 and allege that they are direct competitors of hospitality properties owned by

4 the President in Washington D.C. and New York City.

5 The complaint alleges that President Trump, operating through

6 corporations, limited‐liability companies, limited partnerships, and other

7 business structures, is effectively the sole owner of restaurants, hotels, and

8 event spaces, which are patronized by foreign and domestic government

9 clientele. The President has announced that, since assuming office, he has

10 turned over day‐to‐day management of his business empire to his children

11 and established a trust to hold his business assets.2 However, he maintains

12 sole ownership, receives business updates at least quarterly,3 and has the

13 ability to obtain distributions from the trust at any time.4 The facts alleged by

14 Plaintiffs, together with those acknowledged by the President, support the

2 Donald Trump’s News Conference: Full Transcript and Video, N.Y. Times (Jan. 11, 2017), http://nyti.ms/2jG86w8. 3 Jennifer Calfas, Eric Trump Says He’ll Give the President Quarterly Updates on Business Empire,

Fortune (March 24, 2017), http://for.tn/2n2MRXa. 4 Derek Kravitz & Al Shaw, Trump Lawyer Confirms President Can Pull Money From His

Businesses Whenever He Wants, ProPublica (April 4, 2017, 5:53 PM), http://bit.ly/2o1OM1C. 4 1 inference that the revenues of the Trump establishments are substantially (or

2 are convertible into) personal revenues of the President.

3 i. Plaintiffs’ Allegations

4 Stated generally, Plaintiffs allege that they have been and will be

5 injured because foreign and domestic government entities that patronize

6 Washington, D.C. and New York hotels, restaurants, and event spaces

7 patronize Trump establishments (in preference to Plaintiffs’ establishments)

8 in the hope of enriching the President and earning a reward from him

9 through official Presidential action favorable to their governments, and that

10 such enrichment of the President by foreign and domestic government

11 entities violates the Foreign and Domestic Emoluments Clauses. There are

12 three principal categories of allegations.

13 First, Plaintiffs allege that they directly compete with the President’s

14 establishments for foreign, state, and federal government clientele. Second

15 Amended Complaint (the “Complaint”) ¶¶ 13‐20. Plaintiffs support this

16 allegation with extensive declarations from hospitality industry experts.5

5Where, as here, a defendant makes a “fact‐based” 12(b)(1) motion to dismiss by “proffering evidence beyond the Pleading,” the plaintiff may “need to come forward with evidence of

5 1 Rachel Roginsky, a hospitality consultant and professor at the Boston

2 University School of Hospitality Administration, asserts that certain of

3 Goode’s hotels and one ROC member’s hotel‐restaurant are “[p]rimary

4 competitors” with Trump SoHo and Trump International New York because

5 they “market to and attract customers from essentially the same pool” given

6 their “similar . . . location, facilities, services, amenities, class, image, and

7 price.” Roginsky Decl. ¶¶ 14‐17. Dr.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Cite This Page — Counsel Stack

Bluebook (online)
953 F.3d 178, Counsel Stack Legal Research, https://law.counselstack.com/opinion/citizens-for-responsibility-and-ethics-in-washington-v-trump-ca2-2019.