Knights of the Ku Klux Klan v. Curators of the University of Missouri

203 F.3d 1085, 2000 WL 189834
CourtCourt of Appeals for the Eighth Circuit
DecidedFebruary 17, 2000
Docket99-1168
StatusPublished
Cited by4 cases

This text of 203 F.3d 1085 (Knights of the Ku Klux Klan v. Curators of the University of Missouri) is published on Counsel Stack Legal Research, covering Court of Appeals for the Eighth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Knights of the Ku Klux Klan v. Curators of the University of Missouri, 203 F.3d 1085, 2000 WL 189834 (8th Cir. 2000).

Opinion

McMILLIAN, Circuit Judge.

The Knights of the Ku Klux Klan, Realm of Missouri (“Missouri KKK”), and Michael Cuffley, the state coordinator for the Missouri KKK (together “appellants”), appeal from a final order entered in the United States District Court 2 for the Eastern District of Missouri granting summary judgment in favor, of the individual Curators of the University of Missouri and Patricia Bennett, general manager of the radio station KWMU (together “appellees”). See Knights of Ku Klux Klan, Realm of Missouri v. Bennett, 29 F.Supp.2d 576 (E.D.Mo.1998). For reversal, appellants argue that the district court erred in holding that, in light of certain facts not genuinely disputed, appellees’ rejection of the Missouri KKK as an underwriter violated neither the First Amendment nor the Equal Protection Clause of the Fourteenth Amendment. For the reasons discussed below, we affirm the order of the district court.

Jurisdiction

Jurisdiction in the district court was proper based upon 28 U.S.C. § 1343. Jurisdiction in the court of appeals was proper based upon 28 U.S.C. § 1291. The notice of appéal was timely filed pursuant to Fed. RApp.P. 4(a).

Background

KWMU-is a not-for-profit public broadcast radio station located on the campus of the University of Missouri at St. Louis (“UMSL”). KWMU is owned and operated by The Curators of the University of Missouri, a public corporation established under state. law, see Mo.Rev.Stat. § 172.020 (1999), and licensed by the Federal Communications Commission (“FCC”) to run the station. See 29 F :Supp.2d at 577. The Chancellor of UMSL, Dr. Blanche Touhill, is responsible for overseeing KWMU’s operation. See Appellees’ Appendix at 249. Patricia Bennett, the director and general manager of KWMU, supervises the station’s administration, development, engineering, programming, and sales divisions on a daily basis. Bennett also communicates weekly with Dr. Donald Dreimeier, Deputy to the Chancellor of UMSL, who in 'turn reports to Touhill. See Transcript of Dist. Ct. Evidentiary Hearing at 7, 9 (Aug. 12,1998) [hereinafter “Tr ”]

*1088 To help fund the station, KWMU operates an “enhanced underwriting” program within its sales division. See id. at 30, 32. Pursuant to federal law, the station acknowledges on air any individual or group source of funding for a particular broadcast matter. See 47 U.S.C. § 317(a)(1) (requiring on-air announcement at time of sponsored broadcast identifying source of “any money, service or other valuable consideration ... directly or indirectly paid, or promised to or charged or accepted by” the broadcasting station). Contributors of such funds are referred to as “donors” or “underwriters.” See, e.g., In re Commission Policy Concerning the Noncommercial Nature of Educational Broadcasting, Public Notice, 7 F.C.C.R. 827 (1992) (“1992 Order”). Although federal law forbids noncommercial educational FM broadcasters like KWMU from broadcasting “advertisements,” see 47 U.S.C. § 399b; 47 C.F.R. § 73.503(d), public broadcasters are permitted to “enhance” or expand the scope of donor or underwriter acknowledgments by including (1) logograms or slogans which identify the underwriter but do not promote it, (2) location information on the donor, (3) value neutral descriptions of the underwriter’s product line or service, and (4) donor brand names, trade names, and product or service listings. See In re Commission Policy Concerning the Noncommercial Nature of Educational Broadcasting Stations, 97 F.C.C.2d 255, 263 (1984) (“1984 Order”). Typically, the announcement is a fifteen-second message, drafted by the underwriter or KWMU staff. See Tr. at 38-39. All scripts are reviewed and edited by station management to ensure compliance with federal law and regulations as well as KWMU underwriting guidelines, 3 because UMSL (as the licensee of KWMU) is ultimately liable for all transmissions. See, e.g., 47 U.S.C. § 503(b)(1), (b)(2)(A) (forfeiture provisions); Russellville Educ. Broadcast Found., Licensee of KMTC (FM), Letter, DA 99-1280 (July 1,1999) (imposing $2500 forfeiture penalty for impermissible advertisements); Penfield Communications, Inc., Licensee of KRTM (FM), Memoran *1089 dum Opinion & Order & Forfeiture Order, DA 98-2407 (Nov. 25, 1998) (imposing $4000 forfeiture penalty for same reasons).

As general manager, Bennett designates the percentage of total air time available for underwriting spots as well as the amount of underwriting time allotted to particular programs. See Tr. at 21-22. Bennett accepts donor funds from, and approves accompanying messages of, approximately thirty underwriters per week. See id. at 122. As a matter of course, Bennett does not examine the philosophy or policies of each potential donor. See id. at 62. Nonetheless, prior to the institution of this action, Bennett has rejected financial support from several potential underwriters. See 29 F.Supp.2d at 578 (noting rejection of underwriting requests from a group called “Ultimate Fighting Championships,” a political entity titled “The American Friends Service Committee,” and an establishment known to be “a house of ill repute”).

Some time prior to September 24, 1997, Michael Cuffley 4 contacted KWMU by telephone and requested information on underwriting several fifteen-second spots for NPR’s “All Things Considered” program. See Tr. at 160-61. Cuffley testified that he enjoyed the program, wanted to support KWMU, and hoped to attract more highly educated people to his organization. See id. at 159-60. Cuffley did not initially identify himself or his organization. See id. at 161. A KWMU sales representative quoted Cuffley the underwriting costs for not-for-profit organizations and requested his telephone number, advising Cuffley that a sales representative would contact him at a later date. See id. at 161, 163. At that point, no agreement was reached between KWMU and Cuffley.

On September 24 and 29, 1997, Cuffley wrote to KWMU requesting the opportunity for the Missouri KKK to sponsor four segments of NPR’s “All Things- Considered.” See 29 F.Supp.2d at 578. Cuffley submitted the following message to KWMU to be read as an underwriting acknowledgment:

The Knights of the Ku Klux Klan, a White Christian organization, standing up for rights and values of White Christian America since 1865.

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203 F.3d 1085, 2000 WL 189834, Counsel Stack Legal Research, https://law.counselstack.com/opinion/knights-of-the-ku-klux-klan-v-curators-of-the-university-of-missouri-ca8-2000.