Jensen v. Brown

CourtDistrict Court, D. Nevada
DecidedSeptember 27, 2023
Docket3:22-cv-00045
StatusUnknown

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

Bluebook
Jensen v. Brown, (D. Nev. 2023).

Opinion

6 UNITED STATES DISTRICT COURT

7 DISTRICT OF NEVADA

8 * * *

9 LARS JENSEN, an individual, Case No. 3:22-cv-00045-LRH-CLB

10 Plaintiff, ORDER

11 v.

12 NATALIE BROWN, in her individual and official capacities as Administrative Officer at Truckee 13 Meadows Community College; JULIE ELLSWORTH, in her individual and official 14 capacities as Dean of Science at Truckee Meadows Community College; ANNE FLESHER, in her 15 individual and official capacities as Dean of Math and Physical Sciences at Truckee Meadows 16 Community College; KARIN HILGERSOM, in her individual and official capacities as President of 17 Truckee Meadows Community College; MARIE MURGOLO, in her individual and official capacities 18 as Vice President of Academic Affairs at Truckee Meadows Community College; MELODY ROSE, in 19 her individual and official capacities as Chancellor of the Nevada System of Higher Education, 20 Defendants. 21

22 23 Before the Court is Defendants Natalie Brown, Julie Ellsworth, Anne Flesher, Karin 24 Hilgersom, Marie Murgolo, and Melody Rose’s (collectively, “the Administrators”) Motion to 25 Dismiss Plaintiff Lars Jensen’s (“Dr. Jensen”) First Amended Complaint. ECF No. 21. Dr. Jensen 26 filed a response in opposition to the motion, in which he requested oral argument (ECF No. 33), 27 and the Administrators replied (ECF No. 34). Also before the Court is Dr. Jensen’s Motion to 1 Administrators filed a response in opposition (ECF No. 45) and Dr. Jensen replied (ECF No. 46). 2 In both his motion to amend and reply in support of the motion to amend, Dr. Jensen requested 3 oral argument. See ECF Nos. 44, 46. The Court denies Dr. Jensen’s requests for oral argument. 4 For the reasons articulated below, the Court denies Dr. Jensen’s motion to amend and grants the 5 Administrators’ motion to dismiss. 6 I. BACKGROUND 7 This matter primarily involves alleged violations of civil rights concerning higher 8 education employment at Truckee Meadows Community College (“TMCC”) and, by extension, 9 the Nevada System of Higher Education (“NSHE”). Dr. Jensen is a Community College Professor 10 in the Math and Physical Sciences Division of TMCC’s Mathematics Department. ECF No. 1 at 11 4. Natalie Brown is the Executive Director of the Advisement and Transfer Center at TMCC 12 (“Dr. Brown”); Julie Ellsworth was the Dean of Sciences at TMCC at all relevant times to this 13 action (“Dr. Ellsworth”); Anne Flesher is the Dean of Math and Physical Sciences at TMCC 14 (“Dean Flesher”); Karin Hilgerson is the President of TMCC (“President Hilgersom”); Marie 15 Murgolo was the Vice President of Academic Affairs at TMCC at all relevant times to this action 16 (“Dr. Murgolo”); and Melody Rose is the Chancellor of NSHE (“Chancellor Rose”). Id. at 4–6. 17 Generally, the First Amended Complaint alleges that the Administrators sought to 18 discipline, retaliate, and punish Dr. Jensen after he voiced concerns about the lowering of 19 curriculum standards and the deterioration of shared governance at TMCC. ECF Id. at 2–6. TMCC 20 hired Dr. Jensen on January 16, 1996, and he tenured on July 1, 1999. Id. at 6. Dr. Jensen has 21 taught varying levels of mathematic courses during this time which range from algebra to calculus 22 to statistics to college physics. Id. Dr. Jensen contends that throughout his employment, TMCC 23 has continually altered its standards to make it easier for students to complete math courses and 24 ignored internal procedures relating to shared governance. Id. at 6, 7. Dr. Jesen admits he has 25 consistently voiced his concerns to TMCC on these two issues in different ways which include 26 various email communications and a handout he distributed at a function. Id. at 7–9. 27 In June of 2019, the NSHE Board of Regents passed the “Co-Requisite Policy” and on 1 would be implemented.1 Id. at 7. During the Math Summit, Dr. Ellsworth hosted an audience 2 question and answer session in which Dr. Jensen claims that Dr. Ellsworth allowed members of 3 the audience to make general comments but twice-denied Dr. Jensen the opportunity to voice his 4 concerns and instructed him to use the “parking lot” for his comments.2 Id. at 7, 8. At that time, 5 Dr. Jensen departed the Math Summit, went to his office, and typed and printed a handout entitled 6 “On Math Pathways – Looking Under the Hood” which outlined his Co-Requisite Policy concerns. 7 Id. at 8. Dr. Jensen returned to the Math Summit and distributed the handout to attendees in 8 different rooms during a break. Id. at 9. According to Dr. Jensen, Dr. Ellsworth began to collect 9 the distributed handouts, grew angry, and asked him to step outside for a private conversation in 10 which she made disparaging remarks. Id. at 9, 10. 11 Shortly after, on January 30, 2020, Dr. Ellsworth sent Dr. Jensen a notice of reprimand, 12 which included a proposed letter of reprimand, that characterized Dr. Jensen’s behavior at the Math 13 Summit as “insubordination.” Id at 10. Dr. Jensen claims that Dr. Ellsworth improperly classified 14 his behavior as “insubordination” as a form of retaliation against him. Id. On February 3, 2020, 15 Dr. Jensen filed a grievance seeking vindication of his academic freedom and First Amendment 16 right against Dr. Ellsworth. Id. On February 5, 2020, Dr. Jensen sent an email to TMCC’s faculty 17 listserv entitled “Lowering Standards is Criminal – Literally.” Id. at 11. By February 11, 2020, Dr. 18 Jensen claims that he felt forced and pressured by Dr. Ellsworth to offer his resignation as chair 19 and as a member of the tenure committee. Id. On March 30, 2020, Dr. Ellsworth placed a letter of 20 reprimand in Dr. Jensen’s file. Id. Thereafter, Dr. Ellsworth also raised minor issues about Dr. 21 Jensen’s class syllabus policies, another retaliatory act according to Dr. Jensen. Id. 22 On May 19, 2020, Dr. Ellsworth allegedly ignored the department chair’s rating 23 recommendation of “Excellent 2” as to Dr. Jensen’s annual performance evaluation and changed 24 the rating to “Unsatisfactory,” the lowest possible rating at TMCC. Id. Dr. Jensen filed additional 25 26 1 According to Dr. Jensen, the Co-Requisite Policy passed by the NSHE Board of Regents “put 27 students into a college level math class, possibly with an additional 1-3 co-req credits to fill any 1 grievances in response to the incidents with Dr. Ellsworth, but on November 24, 2020, Chancellor 2 Rose denied Dr. Jensen’s grievances. Id. at 12. 3 Along similar lines, Dr. Jensen alleges that Dean Flesher cited minor issues as her 4 justification for changing Dr. Jensen’s annual performance review from a recommended 5 “Excellent” to “Unsatisfactory.” Id. at 12. Dr. Jensen also claims that Dean Flesher applied criteria 6 to his annual performance review that was not equally applied to other annual performance 7 reviews. Id. Dr. Jensen filed one grievance related to the incident with Dean Flesher and on July 8 27, 2021, Chancellor Rose denied the grievance. Id. at 12, 13. 9 On June 2, 2021, Dean Flesher wrote a letter to President Hilgersom notifying her that Dr. 10 Jensen had received two consecutive “Unsatisfactory” annual performance evaluations. Id. at 13. 11 Around June 16, 2021, President Hilgersom appointed Dr. Brown to investigate Dr. Jensen for a 12 disciplinary hearing.3 Id. at 13. Dr. Brown’s investigation took place over the summer with faculty 13 and included interviews with Dr. Ellsworth and Dean Flesher. Id. Dr. Jensen claims that the 14 investigation was rushed, lasting only 21-days, and that his request to delay the proceedings until 15 he was back in the country was ignored by Dr. Brown. Id. at 13, 14. According to Dr. Jensen, Dr. 16 Brown used the investigation and charging letter to fabricate a basis to terminate his employment. 17 Id. at 14. 18 On July 12, 2021, President Hilgerson appointed Mark Ghan as the Special Hearing Officer 19 for Dr. Jensen’s disciplinary hearing. Id.

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