Demby v. Drexel Univeristy

CourtSuperior Court of Pennsylvania
DecidedAugust 16, 2016
Docket2511 EDA 2014
StatusUnpublished

This text of Demby v. Drexel Univeristy (Demby v. Drexel Univeristy) is published on Counsel Stack Legal Research, covering Superior Court of Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Demby v. Drexel Univeristy, (Pa. Ct. App. 2016).

Opinion

J. A33003/15

NON-PRECEDENTIAL DECISION – SEE SUPERIOR COURT I.O.P. 65.37

TROY DEMBY, : IN THE SUPERIOR COURT OF : PENNSYLVANIA Appellant : : v. : : DREXEL UNIVERSITY, DREXEL POLICE : OFFICER ROBERT ALLEN (BADGE : NO. 55), DREXEL POLICE OFFICER : LAMBERT REBSTOCK (BADGE NO. 52), : DREXEL POLICE OFFICER LOUIS : GREGG (BADGE NO. 50), DIRECTOR : OF DREXEL POLICE ED SPANGLER, : DREXEL POLICE CAPTAIN FRED : CARBONARA, DOMINIC : CECCANECCHIO DREXEL UNIVERSITY : DEPT. OF PUBLIC SAFETY, TIFFANY : AUGUSTINE, DREXEL UNIVERSITY : DEPT. OF PUBLIC SAFETY, DREXEL : POLICE DETECTIVE ROBERT LIS AND : No. 2511 EDA 2014 DREXEL POLICE SERGEANT FERNANDO : SANTIAGO :

Appeal from the Order Entered July 24, 2014, in the Court of Common Pleas of Philadelphia County Civil Division, at No. December Term, 2013 No. 3515

BEFORE: FORD ELLIOTT, P.J.E., STABILE AND STRASSBURGER,* JJ.

MEMORANDUM BY FORD ELLIOTT, P.J.E.: FILED AUGUST 16, 2016

Troy Demby appeals from the order of July 24, 2014, sustaining

defendants/appellees’ preliminary objections in the nature of a demurrer and

dismissing his complaint with prejudice. We affirm in part, reverse in part,

and remand for further proceedings.

* Retired Senior Judge assigned to the Superior Court. J. A33003/15

In his complaint filed February 11, 2014, appellant described the

parties to this action as follows:

2. Plaintiff, Troy Demby, is an adult male who is and was at all material times a resident of Philadelphia, Pennsylvania.

3. Defendant Drexel University (hereinafter “Drexel”) is, upon information and belief, a private non-profit domestic educational corporation with a registered office at 3141 Chestnut Street in Philadelphia, Pennsylvania.

4. Defendant Tiffany Augustine was at all relevant times a civilian employee of Drexel charged with operating a close circuit television camera and was required to follow Drexel’s Public Safety Policy on CCTV.

5. Defendant Drexel Police Officers Robert Allen (Badge No. 55), Lambert Rebstock (Badge No. 52), and Louis Gregg (Badge No. 50) were at all relevant times sworn municipal police officers with law enforcement authority at Drexel’s three campuses in Philadelphia: University City, Center City (Hahnemann Campus), and Queen Lane Medical Campus.

6. Defendant Drexel police Sergeant Fernando Santiago was at all relevant times a municipal police officer with law enforcement authority at Drexel’s three campuses in Philadelphia: University City, Center City (Hahnemann Campus), and Queen Lane Medical Campus. Sergeant Santiago had supervisory authority and responsibility over Drexel’s Police Officers, including Allen, Rebstock, and Gregg.

7. Defendant Director of Police Ed Spangler was at all relevant times a municipal police officer with law enforcement authority, command, and oversight of all policing activity at Drexel’s three campuses in Philadelphia: University

-2- J. A33003/15

City, Center City (Hahnemann Campus), and Queen Lane Medical Campus.

8. Defendant Police Captain Fred Carbonara was at all relevant times a municipal police officer with law enforcement authority, command, and oversight of all policing activity at Drexel’s three campuses in Philadelphia: University City, Center City (Hahnemann Campus), and Queen Lane Medical Campus.

9. Defendant Vice President of Public Safety, Dom[i]nic Ceccanecchio, was at all relevant times a civilian employee of Drexel responsible for managing all Drexel security and safety related programs, services, agents, and employees.

10. Defendant Detective Robert Lis was at all relevant times the Assistant Director of investigation for Drexel. His responsibilities included internal affairs, special investigations, evidence collection, and case file management.

11. At all times relevant, all named individual defendants were acting within the course and scope of their employment and authority as Drexel employees and/or police officers.

12. At all times relevant, Defendant Drexel owned, operated, managed, employed, directed, and controlled the agents, including the named individual defendants, identified herein.

Plaintiff’s Complaint, 2/11/14 at ¶¶ 2-12.

In sustaining appellees’ preliminary objections, the trial court relied on

the facts as alleged in appellant’s complaint:

This Court considered as true the following facts which were alleged by the Plaintiff in his Complaint, as well as all inferences reasonably deducible therefrom:

-3- J. A33003/15

13. On or about December 30, 2011, one Walter Johnson was walking with Earl Demby on Drexel University’s main campus.[Footnote 1]

[Footnote 1] Emphasis added as the Plaintiff in this case is Troy Demby.

14. The two African American men were doing nothing illegal. Still, Defendant Augustine[Footnote 2] began following them utilizing various CCTV cameras, and observed the men try to open several doors on the campus, all of which are open to the public.

[Footnote 2] A Drexel employee.

15. None of the preserved video shows the men possessing any screwdrivers, nor do they show either of the men attempting to pry or force open the doors.

16. Defendant Augustine ignored the lack of any illegal activity and directed Drexel Police attention to the two black males near the Bossone building on Drexel’s campus.

17. In response, at least two Drexel Police vehicles responded by racing to the intersection of 31st and Ludlow to capture the men, who were simply walking at that point near the boundary of Drexel’s campus.

18. Defendants Gregg and Rebstock exited the first vehicle. Gregg[] took aggressive action toward Mr. Johnson. Mr. Johnson fled, with Rebstock in pursuit.

-4- J. A33003/15

19. Defendant Gregg redirected his aggressive actions toward Earl Demby, who raised his hands in the air.

20. Defendant Allen drove a second Drexel SUV toward Mr. Johnson at a high rate of speed. He then made a wide turn, accelerated, and crashed his vehicle directly into Mr. Johnson, pinning his body against a concrete wall. Defendant Allen drove the SUV into Mr. Johnson with such force that its hood buckled.

21. Defendant Allen opened the vehicle’s driver door and spoke briefly with Defendant Rebstock.

22. About 15 seconds later, Allen closed the door and backed the vehicle up. Mr. Johnson crumbled to the ground due to the serious injuries he sustained.

23. Defendant Augustine saw all of the aforementioned events occur.

24. Defendant Santiago arrived shortly thereafter and was supervisor on the scene. He took actions to avoid divisions and/or officers from the Philadelphia Police Department from being sent to the scene. He succeeded.

25. Mr. Johnson was transported to the Hospital of the University of Pennsylvania.

26. Earl Demby was released at the scene. [Emphasis added.]

27. Earl Demby and plaintiff, Troy Demby, are brothers. [Emphasis added.]

-5- J. A33003/15

28. Troy Demby was not at the scene. He was at work and/or commuting home from work during the aforementioned incident. [Emphasis added.]

29. Police on the scene, including some and/or all of the Defendant Police Officers, completed false paperwork, including some that was contradictory of other paperwork. For example, some paperwork indicated that Earl Demby -- incorrectly identified in police paperwork as plaintiff, Troy Demby -- was released from the scene because he had proper identification and was released for further investigation according to one report; another report indicates that Troy Demby was mistakenly released at the scene.

30. Additional police paperwork completed by the individual defendant officers falsely indicated that Troy Demby and Mr.

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