GILLESPIE v. COMMONWEALTH OF PENNSYLVANIA

CourtDistrict Court, E.D. Pennsylvania
DecidedDecember 3, 2021
Docket2:20-cv-04948
StatusUnknown

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

Bluebook
GILLESPIE v. COMMONWEALTH OF PENNSYLVANIA, (E.D. Pa. 2021).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA RODNEY GILLESPIE, et al., Plaintiff, CIVIL ACTION v. NO. 20-4948 PENNSYLVANIA STATE POLICE, et al., Defendant. OPINION Slomsky, J. December 3, 2021 TABLE OF CONTENTS I. INTRODUCTION …………………………………………..…………………….……..1

II. BACKGROUND……………..…………..…………………………………….………...2

A. The Traffic Stop………………………………………………………………….........2 B. Events After the Stop………………...…………………………………………..…….5 C. Defendants’ Motion to Dismiss………………………………………………..………7 D. Plaintiffs’ Supplemental Briefing on the Dashcam Footage……………...……………8 III. STANDARD OF REVIEW ……….……………………………………………………..9

IV. ANALYSIS ………………………………….…………………………………………..11

A. All claims against Defendants Commonwealth of Pennsylvania and Pennsylvania State Police will be dismissed pursuant to Eleventh Amendment Immunity.……………………………...…………..…………11

B. Plaintiff cannot establish a claim for malicious prosecution because Mr. Gillespie was detained prior to the issuance of any charges ……………13

C. The Pennsylvania Equal Protection claim against all Defendants will be Dismissed because Plaintiffs did not produce any comparators …………..…15 D. The Motion to Dismiss the negligent infliction of emotional distress claim will be granted because Plaintiffs do not assert any negligent action done by Trooper Johnson………………...…………….……….17

E. The dashcam footage cannot be considered at the Motion to Dismiss stage………...18

F. The Motion to Dismiss Count II of the Complaint for false imprisonment will be converted into a Motion for Summary Judgment because it relies on the dashcam recording.………………………………..20

G. The dashcam footage must be considered in order to determine whether Trooper Johnson is entitled to qualified immunity …………….……………21

H. The Motion to Dismiss the Intentional Infliction of Emotional Distress claim will be converted into a Motion for Summary Judgment……………...23

I. Whether Trooper Johnson is entitled to sovereign immunity will be decided at the Summary Judgment stage. ……………..………………..….....24

V. CONCLUSION…..……………………………..…………………...……………….…25 I. INTRODUCTION This case involves the concerns of an African American family living in suburban America who come in contact with police officers. Rodney Gillespie, Angela Gillespie, and Jaida Gillespie

(collectively “Plaintiffs”) allege that their Fourth Amendment rights were violated during a traffic stop in such a setting. They claim that during and after the traffic stop, they were falsely imprisoned in violation of the Fourth Amendment to the United States Constitution. (See Doc. No. 1 at 38 40.) In addition, Plaintiff Rodney Gillespie asserts that he was subject to malicious prosecution—, also in violation of the Fourth Amendment. (Id. at 40-42.) Violations of the Equal Protection Clause of the Pennsylvania State Constitution, as well as the intentional and negligent infliction of emotional distress, are also alleged by them. Plaintiffs commenced this action on October 7, 2020. (Doc. No. 1.) Named as Defendants are the Commonwealth of Pennsylvania (“Defendant Commonwealth”), Pennsylvania State Police (“Defendant State Police”), and Defendant State Trooper Christopher S. Johnson (“Defendant

Johnson”), who did the traffic stop. On December 9, 2020, Defendants filed a Motion to Dismiss the Complaint pursuant to Federal Rule of Civil Procedure 12(b)(6) for failure to state a claim upon which relief can be granted. (See Doc. No. 2.) On January 22, 2021, Plaintiffs filed a response. (See Doc. No. 6) On February 12, 2021, Defendants filed a reply. (See Doc. No. 9.) Supplemental briefing regarding the authenticity of the dashcam footage from Trooper Johnson’s vehicle was also filed (Doc. No. 16) and Defendants’ filed a reply. (Doc. No. 17.) A hearing on the Motion to Dismiss was held on April 29, 2021. (See Doc. No. 21.) Supplemental briefing, as requested by the Court, on the Pennsylvania Equal Protection claim were filed by both parties. (See Doc. Nos. 22, 23). For

reasons set forth below, Defendants’ Motion to Dismiss (Doc. No. 2) will be granted in part. The Motion to Dismiss the claims that remain will be converted into a Motion for Summary Judgment under Federal Rule of Civil Procedure 12(d).

II. BACKGROUND A. The Traffic Stop On or about July 8, 2019, between 12:30 a.m. and 1:00 a.m., Plaintiffs were stopped by Trooper Johnson while driving home to Chadds Ford, Pennsylvania after visiting relatives in Lambertville, New Jersey. (Doc. No. 1 at 7.) Rodney Gillespie was driving the car, a sports utility vehicle (SUV). His wife, Angela Gillespie (“Mrs. Gillespie”), was in the front passenger’s seat and their seventeen-year old daughter, Jaida, was in a back seat. (Id. at 7-8.) Plaintiffs had just returned to the United States after a six-year hiatus due to Mr. Gillespie’s job with AstraZeneca in South Africa.1 (Id. at 8.) The SUV was a rental car, a 2019 Jeep Grand Cherokee. (Id.) Plaintiffs

are African American. (Id. at 5.) Initially, Defendant Johnson, driving a marked police vehicle, began to follow the SUV on Route 1 South in Chadds Ford, Pennsylvania. (Id. at 11.)2 Plaintiff made a right turn on Route 1 South onto Webb Road. (Id. at 8.) Webb Road is a dark, unlit, two-lane road with barely any shoulder.3 (Id.) While driving on Webb Road, Johnson observed Plaintiffs’ SUV cross the double

1 At the time of the incident, Mr. Gillespie was President of an Astra-Zeneca division in South Africa. (Doc. No. 1 at 6.)

2 Trooper Voetelink, who accompanied Johnson, stated that before the traffic stop they saw Plaintiffs pass them on Harvey Road. (Id. at 12.) Harvey Road intersects with Route 1 approximately a mile from the location where Route 1 intersects with Webb Road and approximately 1.6 miles from Plaintiffs’ home. (Doc. No. 1 at 11.)

3 Street View for 681 Webb Road, Chadds Ford, PA., Google Maps, http://maps.google.com(search destination field for “681 Webb Road, Chadds Ford, PA” and navigate to “Photos”). yellow line.4 (Id. at 14.) Johnson then attempted to initiate a traffic stop by turning on his lights and siren, but Plaintiffs continued driving, turning onto Atwater Road. (Id. at 8.) Atwater Road is not lit and does not have a shoulder.5 (Id.) Mr. Gillespie did not increase the SUV’s speed after hearing the commands from Johnson’s vehicle. (Id.) Plaintiffs traveled for about forty-nine

seconds before coming to a stop in the driveway of their home on Atwater Road. (Id.) After stopping, Mr. Gillespie turned off the SUV, rolled down the windows, and placed his hands on the steering wheel.6 (Id.) Johnson and a fellow State Trooper, Voetelink, approached the car and yelled “Get out of the car! State Police! Get out of the car!” (Id. at 9.) The Troopers then asked Mr. Gillespie why he did not immediately pull over. (Id.) Gillespie responded that he had stopped at his own house and “[t]his is a small street. I didn’t want to get killed man.” Johnson asked Gillespie how old he was and told him to turn the car off. (Id.) Gillespie then said, “Ya’ll kill Black people, I don’t want to get killed,” to which Trooper Johnson responded, “knock off that nonsense.”7 (Id.) Trooper Johnson then yelled “Do you know how to get hurt? By not stopping!” and ordered him out of the car. (See Dashcam Footage at 2:34.)

4 Plaintiffs state in the Complaint that they were informed of this crossing approximately fourteen minutes into the stop. (Doc. No. 1 at 18.) In the Complaint, Plaintiffs describe the crossing over the double yellow line as follows: Defendant Johnson informed Mr.

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

Related

Quern v. Jordan
440 U.S. 332 (Supreme Court, 1979)
Harlow v. Fitzgerald
457 U.S. 800 (Supreme Court, 1982)
Nordlinger v. Hahn
505 U.S. 1 (Supreme Court, 1992)
Burlington Industries, Inc. v. Ellerth
524 U.S. 742 (Supreme Court, 1998)
Bell Atlantic Corp. v. Twombly
550 U.S. 544 (Supreme Court, 2007)
Scott v. Harris
550 U.S. 372 (Supreme Court, 2007)
Ashcroft v. Iqbal
556 U.S. 662 (Supreme Court, 2009)
Pearson v. Callahan
555 U.S. 223 (Supreme Court, 2009)
Santiago v. Warminster Township
629 F.3d 121 (Third Circuit, 2010)
Lamont v. New Jersey
637 F.3d 177 (Third Circuit, 2011)
Karen Malleus v. John George
641 F.3d 560 (Third Circuit, 2011)
Mcgreevy v. Stroup
413 F.3d 359 (Third Circuit, 2005)
Reichle v. Howards
132 S. Ct. 2088 (Supreme Court, 2012)
PG Publishing Co v. Carol Aichele
705 F.3d 91 (Third Circuit, 2013)
Dawn Ball v. Famiglio
726 F.3d 448 (Third Circuit, 2013)
Kossler v. Crisanti
564 F.3d 181 (Third Circuit, 2009)

Cite This Page — Counsel Stack

Bluebook (online)
GILLESPIE v. COMMONWEALTH OF PENNSYLVANIA, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gillespie-v-commonwealth-of-pennsylvania-paed-2021.