Noon v. City of Platte Woods Missouri

CourtDistrict Court, W.D. Missouri
DecidedDecember 21, 2022
Docket5:21-cv-06159
StatusUnknown

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

Bluebook
Noon v. City of Platte Woods Missouri, (W.D. Mo. 2022).

Opinion

IN THE UNITED STATES DISTRICT COURT WESTERN DISTRICT OF MISSOURI WESTERN DIVISION

THOMAS NOON, et al., ) ) Plaintiffs, ) ) v. ) Case No. 21-CV-06159-SRB ) CITY OF PLATTE WOODS, ) MISSOURI, et al., ) ) Defendants. )

ORDER

Before the Court is Defendant City of Platte Woods, Missouri (“Platte Woods”), Mayor John Smedley (“Smedley”), and Chief of Police James Kerns’ (“Kerns”) (collectively, “Defendants”) Motion for Summary Judgment. (Doc. #28.) For the reasons stated below, the motion is GRANTED IN PART AND DENIED IN PART. I. BACKGROUND This lawsuit arises out of the termination of Plaintiff Thomas Noon (“Noon”), Christopher Skidmore (“Mr. Skidmore”), and Candice Skidmore’s (“Mrs. Skidmore”) (collectively, “Plaintiffs”) employment with the Platte Woods Police Department (“PWPD”). For the purpose of resolving the pending motion, the following facts are uncontroverted or deemed uncontroverted by the Court.1 Additional facts relevant to the parties’ arguments are set forth in Section III.

1 The Court notes that the applicable standard requires the facts to be viewed in the light most favorable to the nonmoving party, Plaintiffs. The relevant facts are taken from the record, including the parties’ briefs and exhibits. The parties’ briefs contain voluminous facts which, for reasons explained below, are not germane to the Court’s decision. Only those facts necessary to resolve the pending motion are discussed, and those facts are simplified to the extent possible. Smedley is the Mayor of Platte Woods, a municipality within the state of Missouri. In 2017, Kerns became Chief of Police of the PWPD. In addition to serving as Chief of Police, Kerns owns and operates an accounting consulting business, drives for Lyft and Uber, and is a member of the Ararat Shriners organization. Noon started working at the PWPD as a police officer in 1995. After Kerns became Chief of Police in 2017, Noon was promoted to Deputy

Chief of Police. Noon was responsible for patrol, responding to calls, rotation of on-call officers, assisting and informing on-duty officers, and was the emergency management director for Platte Woods. Mr. Skidmore was first hired as a police officer for the PWPD in 2010 and was promoted to Sergeant in 2018. Mr. Skidmore was partially responsible for assigning shifts to other officers and vehicle maintenance. In November 2018, Mrs. Skidmore was hired as a police officer for the PWPD. She had patrol duties and served as one of the backup court clerks for Platte Woods. Mrs. Skidmore also reviewed PWPD officers’ daily activity logs. Over the course of their employment, Plaintiffs observed and voiced several concerns

about the PWPD and Kerns’ performance as Chief of Police. For example, Mrs. Skidmore observed that officers would not complete their daily police activity logs. She made complaints to her superiors about safety issues with PWPD vehicles, including missing airbags and faulty emergency lights. Mrs. Skidmore was also concerned that various officers would return home while still on their shifts. Mr. Skidmore brought to Kerns’ attention that officers were required to operate poorly conditioned vehicles, officers failed to pursue investigations with the correct course of action, and the PWPD radar system provided false readings. Mr. Skidmore also complained about Kerns using PWPD time to conduct his personal business. Mr. Skidmore claims Kerns did not address these issues. Mr. Skidmore and Mrs. Skidmore also had concerns about their fellow officer, William Babbitt (“Babbitt”). For instance, Mr. Skidmore did not believe Babbitt was fit to be a police officer, and complained that Kerns was assigning more favorable shifts to Babbitt. Mrs. Skidmore also informed Noon that Babbitt allegedly made threatening comments on social media. Noon brought these concerns to Kerns’ attention.

On September 9, 2019, frustrated with the PWPD’s direction under Kerns, Noon asked Kerns to meet with him for coffee. During that meeting, Noon informed Kerns that he was displeased with Kerns’ performance as Chief of Police, told Kerns he felt he was dishonest, encouraged Kerns to resign as Chief of Police, and handed Kerns a pre-drafted resignation letter for Kerns to sign. Kerns did not resign as Chief of Police. Later that day, Noon called Smedley and informed him about several issues he had with Kerns, including that Kerns worked on his private bookkeeping business while on duty. On September 12, 2019, a document containing a list of concerns regarding the PWPD (“Complaint Packet”) was sent to Smedley and the Platte Woods Board of Aldermen. Plaintiffs,

as well as other officers, contributed to the contents of the Complaint Packet. However, at the time of delivery, the Complaint Packet authors were anonymous. The Complaint Packet included a summarized list of officers’ issues with Kerns’ ability to perform his duties as Chief of Police, which, according to the Complaint Packet, “led to chronic, systemic, and significant issues within [PWPD].” (Doc. #29-6, p. 1.) The Complaint Packet also included a copy of the PWPD standard operating procedures which noted “over 180 violations,” and included “a supplemental document with numerous other examples of specific public safety concerns or simply things that discourage officers.” (Doc. #29-6, p. 2.) On November 14, 2019, displeased with the lack of investigation into the Complaint Packet’s allegations, Mr. Skidmore and Noon both sent letters to Smedley informing him that they were involved in creating the Complaint Packet. Sometime after raising concerns about PWPD vehicles and Babbitt, several of Mrs. Skidmore’s job duties were taken away. In late November 2019, Mr. Skidmore’s administrative rights were blocked, and he was no longer able

to assign shifts. On December 4, 2019, a local newspaper wrote about the Complaint Packet and its various allegations. On December 6, 2019, Kerns learned that an anonymous email was sent to the Ararat Shrine which reiterated the contents of the Complaint Packet. Kerns reached out to Smedley and discussed that Noon or Mr. Skidmore may have been involved with leaking the document to the Ararat Shrine. On January 7, 2020, Noon and Mr. Skidmore wrote another letter to Smedley. In that letter, they informed Smedley that they learned the investigation into their allegations was closed despite neither officer being interviewed. Mrs. Skidmore wrote a formal complaint on January 14, 2020, noting that when she and Mr. Skidmore went to work on

January 13, 2020, they were ignored by other officers. When Mrs. Skidmore went to work her regular shift, Babbitt took over her duties. In January 2020, Plaintiffs were removed from the PWPD schedule, and by March 2020, all had been laid off. Plaintiffs subsequently sued Defendants in the Circuit Court of Platte County, Missouri. That action (“First Lawsuit”) was eventually removed to this Court. The First Lawsuit alleged three counts: Count I: Retaliatory Discharge Under the Whistleblower’s Protection Act (“WPA”), § 285.575.2(3); Count II: Retaliatory Discharge in Violation of The Missouri Workers’ compensation Act on behalf of Noon; Count III: First Amendment Retaliation in Violation of § 1983. The Court eventually granted summary judgment for the Defendants and found that Plaintiffs failed to properly sue the two defendants in their individual capacities. Also, the Court found that Plaintiffs had not presented evidence of an unconstitutional custom. Plaintiffs later filed this lawsuit (the “Second Lawsuit”) on October 29, 2021, and, like the First Lawsuit, reasserted the following claims: Count I: Retaliatory Discharge Under the WPA, § 285.575.2(3); Count II: Retaliatory Discharge in Violation of The Missouri Workers’

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Noon v. City of Platte Woods Missouri, Counsel Stack Legal Research, https://law.counselstack.com/opinion/noon-v-city-of-platte-woods-missouri-mowd-2022.