Nikki Bruni v. City of Pittsburgh

941 F.3d 73
CourtCourt of Appeals for the Third Circuit
DecidedOctober 18, 2019
Docket18-1084
StatusPublished
Cited by15 cases

This text of 941 F.3d 73 (Nikki Bruni v. City of Pittsburgh) is published on Counsel Stack Legal Research, covering Court of Appeals for the Third Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Nikki Bruni v. City of Pittsburgh, 941 F.3d 73 (3d Cir. 2019).

Opinion

PRECEDENTIAL

UNITED STATES COURT OF APPEALS FOR THE THIRD CIRCUIT _______________

No. 18-1084 _______________

NIKKI BRUNI; JULIE COSENTINO; CYNTHIA RINALDI; KATHLEEN LASLOW; PATRICK MALLEY, Appellants

v.

CITY OF PITTSBURGH; PITTSBURGH CITY COUNCIL; MAYOR PITTSBURGH _______________

On Appeal from the United States District Court for the Western District of Pennsylvania (W.D. Pa. No. 2-14-cv-01197) Honorable Cathy Bissoon, U.S. District Judge _______________

Argued: February 6, 2019

Before: HARDIMAN, KRAUSE, and GREENBERG, Circuit Judges

(Opinion Filed: October 18, 2019) Kenneth J. Connelly Elissa M. Graves Kevin H. Theriot [ARGUED] Kristen K. Waggoner David A. Cortman Alliance Defending Freedom 15100 North 90th Street Scottsdale, AZ 85260

Lawrence G. Paladin, Jr. Suite 6C 15 Duff Road Pittsburgh, PA 15235

Counsel for Plaintiff-Appellants Nikki Bruni, Julie Cosentino, Cynthia Rinaldi, Kathleen Laslow, and Patrick Malley

Julie E. Koren Matthew S. McHale ∗ [ARGUED] Yvonne S. Hilton City of Pittsburgh Department of Law 414 Grant Street 313 City County Building Pittsburgh, PA 15219

∗ Matthew S. McHale withdrew as counsel on July 3, 2019, prior to the issuance of this opinion.

2 Counsel for Defendant-Appellees City of Pittsburgh, Pittsburgh City Council, Mayor Pittsburgh

William A. Bonner, I 12 Veterans Square P.O. Box 259 Media, PA 19063

Counsel for Amicus Curiae Life Legal Defense Foundation

Jamie Cohn Stephen M. Juris Janice Mac Avoy Fried Frank Harris Shriver & Jacobson One New York Plaza New York, NY 10004

Susan J. Frietsche Women’s Law Project Western Pennsylvania Office 428 Forbes Avenue Suite 1710 Pittsburgh, PA 15219

Counsel for Amici Curiae Women Law Project, National Abortion Federation

Stephen M. Crampton P.O. Box 4506 Tupelo, MS 38803

3 Counsel for Amici Curiae Pro Life Action League, Sidewalk Advocates for Life

Steven W. Fitschen The National Legal Foundation 524 Chesapeake Chesapeake, VA 23322

Counsel for Amici Curiae Pacific Justice Institute, Concerned Women for America, National Legal Foundation

Matthew D. Staver Horatio G Mihet Roger K. Gannam Liberty Counsel P.O. Box 540774 Orlando, FL 32854

Counsel for Amici Curiae Colleen Reilly and Becky Biter

Erek L. Barron Whiteford Taylor & Preston 111 Rockville Pike Suite 800 Rockville, MD 20850

Counsel for Amicus Curiae International Municipal Lawyers

_______________

4 OPINION OF THE COURT _______________

KRAUSE, Circuit Judge.

This case requires us to determine the constitutionality of a Pittsburgh ordinance that creates a fifteen-foot “buffer zone” outside the entrance of any hospital or healthcare facility. Pittsburgh, Pa., Code § 623.04 (2005) [hereinafter “the Ordinance” or “Pitts. Code”]. In relevant part, the Ordinance states that “[n]o person or persons shall knowingly congregate, patrol, picket or demonstrate” in the prescribed zone. Id. Outside of a Planned Parenthood in downtown Pittsburgh, Plaintiffs engage in leafletting and “peaceful . . . one-on-one conversations” conducted “at a normal conversational level and distance” intended to dissuade listeners from obtaining an abortion. Appellants’ Br. 9, 17–18. As the City has asserted that the Ordinance applies to this speech, known as “sidewalk counseling,” Plaintiffs argue that the Ordinance is facially unconstitutional under the First Amendment and the District Court erred in granting summary judgment in the City’s favor. Because we conclude that the Ordinance does not cover sidewalk counseling and thus does not impose a significant burden on speech, we will affirm.

5 I. Background

A. Factual Background 1

1. History of the Ordinance

In the mid- and late 1990s, Planned Parenthood was the site of numerous clashes between opponents and advocates of abortion rights as well as individuals seeking the facility’s services. 2 In addition to seeing “hundreds” of people at the facility on a Saturday—“pro and anti”—the clinic was plagued by bomb threats, vandalism, and blockades of its entrance. JA 322a. To address these incidents, the Bureau of Police deployed an overtime detail of “up to ten officers and a sergeant” to maintain order and security, often using crowd- control barriers to separate demonstrators from each other and from patients trying to enter the clinic. JA 1024a.

1 The background summarized here is drawn from the record and our prior opinion in this case, Bruni v. City of Pittsburgh (Bruni I), 824 F.3d 353, 357–59 (3d Cir. 2016). Because we are reviewing a district court’s grant of summary judgment, we consider the facts in the light most favorable to the non-movants and draw all reasonable inferences in their favor. See Hugh v. Butler Cty. Family YMCA, 418 F.3d 265, 266–67 (3d Cir. 2005). 2 The same was true of Allegheny Reproductive Health Center, another clinic that provides abortions, which, in addition to seeing hundreds of protestors, was fire bombed, intentionally flooded, and had its windows shot out.

6 In 2002, Planned Parenthood moved to its current location at 933 Liberty Avenue. Although the incidents lessened in severity, contemporaneous police logs and testimony from Sergeant William Hohos indicate that “the pushing,” “the shoving,” and “the blocking of the doors” continued, and the overtime detail, reduced in size, continued to provide a police presence. JA 323a, JA 834a, JA 837a. After Pittsburgh was declared a financially distressed municipality in late 2003, however, fiscal constraints and the need for redeployment of limited police resources required the detail to be discontinued, and police were called to address the continuing incidents at the site on an as-needed basis. In the wake of the detail’s discontinuation, the clinic reported an “obvious escalation in the efforts of the protestors,” JA 357a, including an increase in “aggressive pushing, shoving and . . . harassing behavior that included shoving literature into people’s pockets, hitting them with signs and blocking their entrance into the building,” JA 352a.

In November 2005, the City Council held hearings on proposed legislation that eventually resulted in the Ordinance. Among those who testified were sidewalk counselors, clinic escorts, patients, and other concerned members of the community. Several witnesses insisted the Ordinance was unnecessary either because they had never observed violent incidents or were unaware of “significant violence” outside the clinic. JA 348a. But other witnesses reported being personally harassed and prevented from entering the clinic, being yelled at through the glass doors of the clinic, and seeing patients being surrounded on the sidewalk. A Planned Parenthood counselor described patients entering the clinic in a “psychological state [of] situational crisis,” threatening their health. JA 355a. And “without [police] supervision,” the

7 President and CEO of Planned Parenthood of Western Pennsylvania said, “there ha[d] been an increase in unlawful behavior that . . . put[] . . . patients, their families, pedestrians and . . . protestors at risk.” JA 352a.

The City Council also heard from Commander Donaldson of the Pittsburgh Police Department. He reported that police had been summoned to Planned Parenthood twenty- two times in the past six months alone to “mediate confrontations” and respond to incidents ranging from signs “obstructing the front of the building” to protestors “follow[ing] . . . people to the doorway.” JA 404a. They had not made any arrests, however. According to Commander Donaldson, the City had on its books “laws . . . that would address obstructing traffic or passageways or . . .

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