Henry v. Washington Department of Health

CourtDistrict Court, E.D. Washington
DecidedMarch 29, 2024
Docket2:22-cv-00046
StatusUnknown

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

Bluebook
Henry v. Washington Department of Health, (E.D. Wash. 2024).

Opinion

1 FILED IN THE U.S. DISTRICT COURT EASTERN DISTRICT OF WASHINGTON 2 Mar 29, 2024 3 SEAN F. MCAVOY, CLERK 4 5 UNITED STATES DISTRICT COURT 6 EASTERN DISTRICT OF WASHINGTON 7 ERIKA HENRY and DANIEL No. 2:22-cv-00046-MKD HENRY, wife and husband, K.H., a 8 minor child, and B.H. a minor child, ORDER DENYING PLAINTIFFS’ MOTION TO CERTIFY 9 Plaintiffs, AND 10 v. GRANTING IN PART AND 11 WASHINGTON STATE DENYING IN PART DEPARTMENT OF HEALTH, DEFENDANTS’ MOTION FOR 12 UMAIR A. SHAH, JESSICA SUMMARY JUDGMENT AND TODOROVICH, ROY CALICA, and PLAINTIFFS’ MOTIONS FOR 13 JOHN DOES 1-10, SUMMARY JUDGMENT

14 Defendants. ECF Nos. 39, 46, 48, 51

15 On October 13, 2023, the Court conducted a hearing on pending motions. 16 ECF No. 78. Marshall Casey and Marcus Sweetser appeared on behalf of Plaintiffs. 17 Nicholas Ulrich appeared on behalf of Defendants. The Court has reviewed the 18 motions and the record, has heard from counsel, and is fully informed. The Court 19 (1) denies Plaintiffs’ Motion to Certify Questions to the Washington Supreme Court, 20 ECF No. 48; (2) grants in part and denies in part Defendants’ Motion for Summary 1 Judgment, ECF No. 39; (3) grants in part and denies in part Plaintiffs’ Motion for 2 Summary Judgment on Preliminary Elements Under U.S. Constitution, ECF No. 46,

3 and (4) denies as moot Plaintiffs’ Summary Judgment Motion on Wrongful 4 Termination in Violation of the Washington Constitution, ECF No. 51. 5 BACKGROUND

6 A. Factual History 7 On September 16, 2014, Plaintiff Erika Henry began working for Defendant 8 Washington State Department of Health (“Department”). ECF No. 69 at 2 ¶ 1; ECF 9 No. 42-1 at 8. She previously worked for the Spokane Regional Health District

10 (“SRHD”), a local health jurisdiction. ECF No. 40 at 1 ¶ 2; ECF No. 56 at 2 ¶ 2; 11 ECF No. 69 at 2 ¶ 3. SRHD is governed by its Board of Health (“SRHD Board”), 12 whose members are local elected officials and appointees. ECF No. 47 at 2 ¶ 1.1;

13 ECF No. 62 at 2 ¶ 1.1. During the period relevant to this case, Henry lived within 14 SRHD’s jurisdiction and was a constituent of Mary Kuney, an SRHD Board 15 member. ECF No. 25 at 35 ¶ 2.103; ECF No. 32 at 13 ¶ 2.103. 16 On July 1, 2020, Henry took the position of Assistant Secretary of Health for

17 Emergency Preparedness and Response for the Department, as an acting 18 appointment. ECF No. 40 at 2 ¶ 4; ECF No. 56 at 2 ¶ 3; ECF No. 42-1 at 2. 19 Defendant Jessica Todorovich, the Department’s Chief of Staff, was Henry’s direct

20 supervisor and appointing authority. ECF No. 69 at 2 ¶ 2. 1 On October 30, 2020, media outlets reported that SRHD’s Public Health 2 Officer, Bob Lutz, had been fired. ECF No. 69 at 2 ¶ 4. That day, Henry emailed

3 the following message to SRHD’s Board members and Administrative Officer 4 Amelia Clark from a personal, @gmail.com email address: 5 Subject: expect better from [the SRHD Board]

6 I’m writing to say that I am appalled by the [SRHD Board] support of Amelia Clark’s baseless claims against Dr Lutz. 7 Many of you know him personally and professionally, have for years. Yet you let an insecure weakling of a 8 leader strong arm you into ousting him based on vague claims of what.... personality conflict? Tell her to grow up 9 and do her job. People disagree with her because she makes impulsive decisions based on her own ego and 10 inability to appear wrong. She is weak, and today the [SRHD Board] is no better. You sought no further 11 evidence or testimonials from peers who actually know what they’re talking about. You didn’t consider his 12 demonstrated performance and leadership before and during a global pandemic, the fact that his work is lauded 13 regionally and statewide. Instead you’ve supported an action that endangers our public health response and, more 14 egregiously, the actual health of the public. 15 I anticipate this will come to a public forum, perhaps within a few hours. When it does, I hope Amelia’s 16 inadequacies are exposed; she has been promoted to the level of her incompetence. One who cowers from 17 criticism can’t possibly lead in a time as trying as this, and certainly not for an agency as critical to our community as 18 SRHD. It is the leader’s responsibility to step beyond the comfort of their ego, to confront the challenges of our 19 community, and to work with her own staff at all levels to ensure the most appropriate response to this public health 20 crisis. She is unable to do that, instead calling on her friends to just make her problem go away. 1 Do you see that your actions have validated her lack of fortitude? You’ve shown her and our community that she 2 can continue leading through conflict avoidance, selfish motives, and a little help from her [SRHD Board] buddies. 3 What an embarrassment to this community. 4 Not all of you support Amelia. I hope you argued loudly and expect you will continue to do so. Let her know how 5 insufficient her “leadership” is. 6 There could be an opportunity to right this wrong, though the consequences of [the SRHD Board’s] initial actions 7 will unfortunately ripple for months. What you do next will be an historic display of your values and alliances. 8 Are you with facts and reason, or are you with baseless accusations and whining? Your community is watching 9 intently. Erika Henry 10 ECF No. 40 at 3-4 ¶ 13; ECF No. 56 at 3-4 ¶ 13; ECF No. 42-2 at 3 (“email from a 11 personal account”), 35. 12 On December 20, 2020, Defendant Umair Shah was appointed as the 13 Department’s Secretary of Health. ECF No. 69 at 2 ¶ 6. Shah traveled to Spokane 14 to meet with the SRHD Board on February 8, 2021, and Todorovich asked Henry to 15 accompany Shah. ECF No. 40 at 5 ¶¶ 20-21; ECF No. 56 at 5 ¶¶ 20-21. 16 At the meeting, an SRHD Board member confronted Shah about Henry’s 17 email. ECF No. 40 at 6 ¶ 26; ECF No. 56 at 6 ¶ 26. Henry was distraught and 18 texted Todorovich afterward, stating the SRHD Board member “tore [her] a new one 19 in front of” Shah. ECF No. 40 at 7 ¶ 31; ECF No. 56 at 7 ¶ 31; ECF No. 42-2 at 36. 20 1 In that text conversation, Henry told Todorovich about her email, describing it as 2 “an email as a private citizen (I never identified myself as a [Department] employee

3 or having any connection to [public health]).” ECF No. 42-2 at 36-38; ECF No. 69 4 at 3 ¶ 11. Todorovich responded, “you have every right to express yourself as a 5 private citizen to your local board.” ECF No. 42-2 at 36. An SRHD Board member

6 later gave Shah a copy of the email. ECF No. 40 at 8 ¶ 37; ECF No. 56 at 8 ¶ 37. 7 A few days later, Todorovich reported Henry to the Department’s Office of 8 Human Resources because of the email. ECF No. 40 at 9 ¶ 40; ECF No. 56 at 8-9 9 ¶ 40. The Office of Human Resources assigned Defendant Roy Calica to

10 investigate, and he completed an investigation report in March 2021. ECF No. 40 at 11 9 ¶ 41; ECF No. 56 at 9 ¶ 41; ECF No. 42-2 at 16-34. 12 On May 19, 2021, Todorovich sent Henry a disciplinary letter terminating her

13 employment, citing the email, and Henry’s failure to inform Department leadership 14 of the email before February 8, 2021, as the reasons for the decision. ECF No. 69 at 15 3-4 ¶ 13; ECF No. 42-2 at 3-4, 7. 16 B. Procedural History

17 In February 2022, Erika Henry, her husband Daniel Henry, and their children, 18 K.H. and B.H., filed suit in Spokane County Superior Court against the Department, 19 Shah, Todorovich, and Calica. ECF No. 1-1. Defendants removed the case to

20 1 federal court. ECF No. 1. On October 18, 2022, Plaintiffs filed an Amended 2 Complaint. ECF No. 25.

3 The Amended Complaint brings claims alleging (1) Henry’s wrongful 4 termination in violation public policy under the Washington Constitution; 5 (2) Henry’s wrongful termination in violation of public policy under the First

6 Amendment of the U.S.

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Henry v. Washington Department of Health, Counsel Stack Legal Research, https://law.counselstack.com/opinion/henry-v-washington-department-of-health-waed-2024.