Joseph R. Passino v. Fulton County New York, et al.

CourtDistrict Court, N.D. New York
DecidedMarch 25, 2026
Docket1:25-cv-00727
StatusUnknown

This text of Joseph R. Passino v. Fulton County New York, et al. (Joseph R. Passino v. Fulton County New York, et al.) is published on Counsel Stack Legal Research, covering District Court, N.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Joseph R. Passino v. Fulton County New York, et al., (N.D.N.Y. 2026).

Opinion

UNITED STATES DISTRICT COURT NORTHERN DISTRICT OF NEW YORK ________________________________________

JOSEPH R. PASSINO,

Plaintiff, v. 1:25-cv-00727 (AMN/DJS)

FULTON COUNTY NEW YORK, et al.,

Defendants. ________________________________________

APPEARANCES: OF COUNSEL:

UBA LAW FIRM, P.C. VINCENT U. UBA, ESQ. 744 Broadway Albany, New York 12207 Attorneys for Plaintiff

MURPHY BURNS GROUDINE LLP STEPHEN M. GROUDINE, ESQ. 407 Albany Shaker Road Loudonville, New York 12211 Attorneys for Defendants Fulton County, Richard C. Giardino, Jeffrey Fake, Jordan M. Shannon, and Robert Stemmler

Hon. Anne M. Nardacci, United States District Judge:

MEMORANDUM-DECISION AND ORDER

I. INTRODUCTION On April 22, 2025, Plaintiff Joseph R. Passino commenced this suit in New York Supreme Court pursuant to 42 U.S.C. § 1983 (“Section 1983”) and New York state law alleging injuries arising out of two criminal prosecutions and raising various related claims against Richard C. Giardino, Jeffrey Fake, Jordan M. Shannon, and Robert Stemmler in their official and individual capacities, and against Fulton County (collectively, “County Defendants”). See Dkt. No. 2 (“Complaint”). Plaintiff also brings claims against Jodie-Lynn Vannie and Gladys K. Griffith, who have not appeared in the action, and an unidentified Jane Doe (collectively with County Defendants, “Defendants”). See id. County Defendants removed the state action to this Court on June 9, 2025. Dkt. No. 1. Presently before the Court is County Defendants’ motion to dismiss for failure to state a claim on which relief can be granted. Dkt. No. 10 (the “Motion”); see Fed. R. Civ. Pro. 12(b)(6).

Plaintiff opposed the Motion, see Dkt. No. 19, and County Defendants replied in further support. Dkt. No. 20. For the reasons set forth below, the Motion is granted in part and denied in part. II. BACKGROUND Unless otherwise noted, the following facts are drawn from the Complaint, its attachments, or materials it incorporates by reference, and are assumed to be true for purposes of ruling on the motion, see Div. 1181 Amalgamated Transit Union-N.Y. Emps. Pension Fund v. N.Y.C. Dep’t of Educ., 9 F.4th 91, 94 (2d Cir. 2021) (per curiam), or are otherwise matters of public record. Williams v. N.Y.C. Hous. Auth., 816 F. App’x 532, 534 (2d Cir. 2020).

A. The Parties Plaintiff Joesph R. Passino is an individual residing in Fulton County, New York. Dkt. No. 2 at ¶ 1. At all relevant times, Plaintiff was the Dog Control Officer for the Town of Perth, New York. Id. at ¶ 2. Plaintiff also served as a volunteer backup Animal Control Officer for the Fulton County Sheriff’s Department, the New York State Police, the Town of Amsterdam, the Town of Bleecker, and the Village of Mayfield. Id. at ¶ 3. Fulton County is a municipal corporation organized under New York law, with its principal administrative office in Johnstown, New York. Id. at ¶¶ 4, 7. At all relevant times, Defendant Richard C. Giardino was the Fulton County Sheriff, see id. at ¶ 14, Defendants Jeffrey Fake and Jordan M. Shannon were deputy sheriffs with the Fulton County Sheriff’s Department (“FCSD”), see id. at ¶¶ 8, 10, and Defendant Robert Stemmler was a sergeant with FCSD who also supervised Defendant Shannon. Id. at ¶ 12. At all relevant times, Defendants Jodi-Lynn Vannie and Gladys K. Griffith were individuals residing in Amsterdam, New York. See Dkt. No. 2-12 at 1; Dkt. No. 2-3 at 6.1

B. Plaintiff’s Allegations Plaintiff’s claims arise out of two incidents, each leading to an arrest and a criminal proceeding. See Dkt. No. 2 at ¶¶ 42-220. For context, Plaintiff also alleges a particular history of interactions between himself and FCSD, see id. at ¶¶ 22-41, including two instances in which FCSD called him to shoot a sick or injured animal within five hundred feet of a “dwelling house, farm building or farm structure, school building, school playground, or occupied factory or church,” one instance in which FCSD members shot a horse within five hundred feet of the same, and one instance in which Plaintiff refused a directive by Defendant Giardino to break into a home without a warrant to seize an unlicensed dog that had been deprived of food and water for a week.

Id. at ¶¶ 22-39. As to this last instance, Plaintiff alleges that “because [he] would not go along with FCSD’s lawful or unlawful instructions[,]” FCSD employees and agents no longer wanted him as the Dog Control Officer. Id. at ¶ 40. 1. April 7, 2021 Arrest As to the first incident, Plaintiff alleges that on January 4, 2021, he received multiple calls regarding two at-large dogs, one of which was acting aggressively. Id. at ¶ 42. After Defendant Griffith informed Plaintiff that she had seen the dogs walking toward Perth Bible Church, Plaintiff

1 Citations to court documents utilize the pagination generated by CM/ECF, the Court’s electronic filing system. drove to that location and saw the two dogs in the driveway of the pastor’s house, which is also on the property. Id. at ¶¶ 43-44. Perth Bible Church also operates a school, which was in session. See Dkt. No. 2-3 at 2. Then, Plaintiff alleges that while he was waiting for backup, he observed one of the dogs barking and growling at someone in the house, at which point he attempted to engage the dogs himself next to the garage while armed with a loaded pistol. Dkt. No. 2 at ¶¶ 45-

47. Plaintiff alleges that one of the dogs had already charged his truck aggressively when he pulled in, and that the same dog “lunged violently” at him when he was out of the truck. Id. at ¶¶ 45, 48. Plaintiff alleges that after he missed an attempt to hit that dog with the butt of his pistol, the dog again lunged violently at Plaintiff, who then “took the safety lock off his pistol and shot the male dog with the bullet grazing the male dog’s tooth.” Id. at ¶ 48. At that point, the dog retreated. Id. Plaintiff then reported the incident to FCSD, canvassed the neighborhood, and identified the dogs’ owner, who later found and collected the dogs. Id. at ¶¶ 49-50. After an investigation into the incident that took place on January 4, 2021, Defendant Fake arrested Plaintiff on April 7, 2021 and charged him with reckless endangerment in the second

degree and illegal discharge of a firearm within five hundred feet of a dwelling house and school building, both misdemeanors. Id. at ¶¶ 51-53 (citing N.Y. Pen. Law § 120.20 and N.Y. Envir. Cons. Law § 11-9031.4(a)(2)). Defendant Fake’s accusatory instrument indicates that he based the charges on Plaintiff’s verbal statements and the depositions of Nicole Langlois, the owner of the dogs, Mark Appell, the pastor of Perth Bible Church, and Defendant Griffith. Dkt. No. 2-3. As a result of the charges and a securing order levying various conditions on Plaintiff, see Dkt. No. 2- 4, Plaintiff alleges that he appeared in Northampton Town Court at least three times. Dkt. No. 2 at ¶ 72. On November 27, 2022, the town prosecutor issued Plaintiff an Adjournment in Contemplation of Dismissal for both charges, which were then dismissed on December 26, 2022. Dkt. No. 2-6; see also Dkt. No. 2 at ¶ 77. 2. August 10, 2022 Arrest As to the second incident, Plaintiff alleges that on July 27, 2022, while Defendant Vannie was on her back porch with her two dogs, Plaintiff pulled up to her porch, informed her that he

was the Dog Control Officer, and asked whether her dogs were licensed. Dkt. No. 2 at ¶¶ 93-94. After Defendant Vannie stated that they were not licensed, Plaintiff then alleges that he told Defendant Vannie that the law required her to license her dogs and provided her a handwritten note with his name, phone number, title, and the Town Hall hours of operation. Id. at ¶¶ 94-95.

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