Gay-Lesbian-Bisexual-Transgender Pride/Twin Cities v. Minneapolis Park & Recreation Board

721 F. Supp. 2d 866, 2010 U.S. Dist. LEXIS 67703, 2010 WL 2653260
CourtDistrict Court, D. Minnesota
DecidedJune 25, 2010
DocketCivil 10-2579 (JRT/JJG)
StatusPublished
Cited by2 cases

This text of 721 F. Supp. 2d 866 (Gay-Lesbian-Bisexual-Transgender Pride/Twin Cities v. Minneapolis Park & Recreation Board) is published on Counsel Stack Legal Research, covering District Court, D. Minnesota primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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Gay-Lesbian-Bisexual-Transgender Pride/Twin Cities v. Minneapolis Park & Recreation Board, 721 F. Supp. 2d 866, 2010 U.S. Dist. LEXIS 67703, 2010 WL 2653260 (mnd 2010).

Opinion

ORDER DENYING MOTION FOR TEMPORARY RESTRAINING ORDER

JOHN R. TUNHEIM, District Judge.

On June 23, 2010, Plaintiff Gay-Lesbian-Bisexual-Transgender Pride/Twin Cities d/b/a/ Twin Cities Pride (“Twin Cities Pride”) brought this action pursuant to 42 U.S.C. § 1983 against defendant Minneapolis Park and Recreation Board (“MPRB”), alleging violations of its First Amendment right to free speech, petition, and assembly. On the same date, Twin Cities Pride filed a motion for a temporary restraining order. For the reasons set forth below, the Court denies the motion.

BACKGROUND

Twin Cities Pride is a nonprofit 501(c)(3) organization based in Minneapolis, Minnesota. (Belstler Decl. ¶ 2, Docket No. 6.) Twin Cities Pride, which is comprised almost entirely of volunteers, produces the annual Pride Celebration in Minneapolis and St. Paul, Minnesota. (Id.) Twin Cities Pride asserts that its mission is “to commemorate and celebrate our diverse heritage, inspire the achievement of equality and challenge discrimination.” (Id. (internal quotation marks omitted).) The Minneapolis Park and Recreation Board of Commissioners is “an independently elected, semi-autonomous body responsible for maintaining and developing the Minneapolis Park system to meet the needs of *868 citizens of Minneapolis.” (Slusser Decl. Ex. D., Docket No. 5.) Among other things, MPRB issues permits to the public for events including “picnics,” “weddings,” “reception[s] and partfies],” and other “special events” on park property. (Id. Ex. E.)

Twin Cities Pride’s annual Pride Celebration consists of several events, including a two-day Pride Festival that is traditionally held the last full weekend of June. Twin Cities Pride has held the Pride Festival in Minneapolis’ Loring Park for thirty-two of the thirty-seven years in which the Pride Festival has been held. (Belstler Decl. ¶ 3, Docket No. 6.) “Loring Park consists of forty-two acres of land in a densely populated part of [Minneapolis] .... [and] is accessible on all sides and there are no physical barriers to prevent access to the Park.” (Stenzel Aff. ¶ 2, Docket No. 12.)

Each year, Twin Cities Pride applies to MPRB for a special use permit to hold the Pride Festivahin Loring Park. On January 16, 2010, Twin Cities Pride applied for a special use permit (the “Permit”) from MPRB to hold a portion of the 2010 Pride Festival in Loring Park on June 25, 26, and 27. (Stenzel Aff. ¶ 3, Docket No. 12.) MPRB issued a tentative permit to Twin Cities Pride which enumerates several conditions. MPRB’s permit application provides: “[a]ll events and applicant’s guests, vendors, concessionaires and exhibitors are subject to and must abide by the codes, rules, regulations, ordinances, statutes, and laws of the MPRB, the City of Minneapolis, the State of Minnesota, and the United States of America.” (Stenzel Aff. Ex. A, Docket No. 12.) The “Permit does not grant [Twin Cities Pride] exclusive control of Loring Park.” (Id. ¶ 5.) The Permit allows Twin Cities Pride to use Loring Park and the Loring Park Band-shell for the Pride Festival and to set up a “beer garden,” three stages for entertainment, three food courts, and various vendor booths. (Stenzel Aff. Ex. B, Docket No. 12.) The Permit also caps the attendance for the two-day event at 300,000 people and requires Twin Cities Pride to employ three MPRB police officers during the event. (Id. ¶¶ 6-7, Ex. B.) Pursuant to the Permit’s conditions, Twin Cities Pride is responsible for litter removal and cleanup and for providing insurance for the Festival grounds. (Belstler Decl. ¶ 9, Docket No. 6.) The Permit also requires Twin Cities Pride to remit a percentage of revenues from food and beverage sales to MPRB. (Id.)

Twin Cities Pride represents that the Pride Festival attracts over 200,000 visitors each year. (Belstler Decl. ¶ 4, Docket No. 6.) The Pride Festival also consists of several “official participants,” which Twin Cities Pride divides up into three categories: sponsors, who receive booth space and permission to advertise with signage and other advertisements in exchange for in-kind or financial support; vendors, who sell products or solicit donations; and exhibitors, who may display information about their organization or cause and distribute written materials or souvenirs. (Id. ¶ 5.) Twin Cities Pride requires all categories of official participants to sign and affirm a non-discrimination statement that states:

The Applicant affirms that they and/or their business/organization do not discriminate in hiring, employment, participation or services rendered based on the fact or perception of a person’s race, color, creed, religion, national origin, ancestry, age, sex, sexual orientation, gender identity, domestic partner status, marital status, disability, or Acquired Immune Deficiency Syndrome or HIV Status.

(Belstler Decl. Ex. A, Docket No. 6.)

All official participants must adhere to a set of rules developed and published by *869 Twin Cities Pride. (Compl. ¶ 17, Docket No. 1.) These rules direct all official participants as follows: “[y]ou must limit your activities at the Festival to those you state on your application, which must pertain to your organization/business. You must also limit the conduct of those activities to your booth space(s). Sales or distribution of anything done by walking through the Festival grounds is not permitted.” (Belstler Deck Ex. A, Docket No. 6.) Twin Cities Pride cites three reasons for placing these restrictions on activities outside of official booths: the restrictions “prevent littering” by “limiting distribution of written and tangible materials,” “assist[] in crowd safety and control .... [by ensuring] that the traffic flow of attendees is as smooth as possible,” and allow Twin Cities Pride to continue to collect booth fees. (PL’s Mem. in Supp. of Mot. for Temporary Restraining Order at 8-9, Docket No. 3.)

Brian Johnson is an evangelical Christian who “expresses his religious beliefs by engaging in conversation and distributing Bibles.” 1 (Mem. in Supp. of Mot. to Intervene and in Opp’n to Mot. for TRO at 2, Docket No. 16.) Johnson and his family operated a vendor booth at the Pride Festival for several years prior to 2009. (Def.’s Mem. in Opp’n at 3, Docket No. 11.) In 2009, Twin Cities Pride denied Johnson’s application for a booth, citing complaints from past festival attendees. (Kelley Deck ¶ 6, Docket No. 4.) The manager of the Pride Festival stated that Johnson’s “message and purpose ... contradicted our Pride Festival’s ... message of celebration and pride in being gay, lesbian, bisexual or transgender.” (Id.) Regardless, Johnson attended the 2009 festival with “several boxes of written material.” (Id. ¶ 8.) After he refused to leave the area, the Minneapolis Police Department arrested and removed him from the park. (Id.) In 2010, Twin Cities Pride again denied Johnson’s application for a booth based on “his history of disruption, and because his anti-gay opinion was antithetical to the Pride Festival’s purpose and message.” (Compl. ¶ 33, Docket No. 1.)

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Related

Johnson v. Minneapolis Park & Recreation Board
729 F.3d 1094 (Eighth Circuit, 2013)

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721 F. Supp. 2d 866, 2010 U.S. Dist. LEXIS 67703, 2010 WL 2653260, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gay-lesbian-bisexual-transgender-pridetwin-cities-v-minneapolis-park-mnd-2010.