Pomicter v. Luzerne Cnty. Convention Ctr. Auth.

322 F. Supp. 3d 558
CourtDistrict Court, M.D. Pennsylvania
DecidedApril 10, 2018
Docket3:16-CV-00632
StatusPublished
Cited by1 cases

This text of 322 F. Supp. 3d 558 (Pomicter v. Luzerne Cnty. Convention Ctr. Auth.) is published on Counsel Stack Legal Research, covering District Court, M.D. Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Pomicter v. Luzerne Cnty. Convention Ctr. Auth., 322 F. Supp. 3d 558 (M.D. Pa. 2018).

Opinion

Robert D. Mariani, United States District Judge

I. Introduction

This action involves a First Amendment challenge to the government's restrictions on protesting activity in a non-public forum. On April 15, 2016, Plaintiffs Silvie Pomicter and Last Chance for Animals ("Plaintiffs") filed a verified complaint against Defendants Luzerne Country Convention Center Authority (the "Authority") and SMG ("SMG" and, together with the Authority, "Defendants"), alleging that Defendants' policies and practices violate the First Amendment. Doc. 1. In particular, Plaintiffs seek both declaratory and injunctive relief prohibiting the Defendants from enforcing their policy of (1) confining all leafletting and protesting activity to barricaded designated areas on the sidewalk outside of the Mohegan Sun Arena (the "Arena"), (2) prohibiting use of voice amplification by protestors, and (3) prohibiting use of profanity and vulgarity by protestors.

On April 15, 2016, Plaintiffs filed a motion for preliminary injunction. Doc. 2. The Court held an evidentiary hearing on April 25, 2016, and granted Plaintiffs' motion as modified on April 27, 2016. Doc. 19. On November 13, 2017 and December 18, 2017, the Court held a non-jury trial, during which the Court heard testimony from Sylvie Pomicter, Chris DeRose, president of Last Chance for Animals, and Brian Sipe, the general manager of the Arena. In addition, the parties have stipulated that the evidence that was received at the preliminary injunction hearing is part of the trial record. Doc. 42, at 11. Upon review of all testimony and evidence of record in this case, the Court concludes that the Defendants' leafletting restriction, voice amplification ban, and profanity or vulgarity ban, as reflected in the Revised Protest Policy, violate the First Amendment principles set forth by Supreme Court case law. Accordingly, judgment will be entered in favor of the Plaintiffs and against Defendants.

II. Findings of Fact

a. The Parties

1. Plaintiff Sylvie Pomicter is an individual residing in Lackawanna County, PA, and has been an animal rights activist for many years. Stipulated Facts for Trial, Doc. 42-1 ("Stipulated Facts"), ¶ 12.

*5632. Last Chance for Animals ("LCA") is a non-profit organization dedicated to eliminating animal exploitation through education, investigations, legislation, and media attention. LCA is organized in California with an address in Los Angeles, CA. Id. ¶ 16.

3. Chris DeRose is the president and founder of LCA. Doc. 52 ("Trial Tr.") at 44:4-5.

4. Both Ms. Pomicter and LCA are opposed to use of animals by circuses. Stipulated Facts, ¶ 11.

5. Ms. Pomicter regularly protests outside businesses and venues that she believes engage in cruelty to animals. Id. ¶ 13.

6. Ms. Pomicter obtains the literature that she distributes from People for the Ethical Treatment of Animals ("PETA"), an animal rights organization. Id. ¶ 14.

7. Ms. Pomicter uses Facebook, email, and the telephone to organize animal rights activities to attend protests, including protests at the Arena. Id. ¶ 15.

8. Defendant Luzerne County Convention Center Authority is an authority organized pursuant to the Municipal Authorities Act of Pennsylvania with an address of 255 Highland Park Boulevard, Wilkes-Barre, PA 18702. Id. ¶ 3.

9. Defendant SMG is an organization contracted by the Authority to oversee the day-to-day operations of the Arena, including booking, finance, food and beverage, marketing, and sales. Id. ¶ 7.

10. Brian Sipe is the general manager of the Arena and an employee of SMG. Id. ¶ 6.

b. The Arena and Surrounding Areas

11. The Authority owns the Arena and surrounding parking lots. Id. ¶ 4.

12. The purpose of the Authority is to operate, own, and oversee the operations at the Arena. Id. ¶ 5.

13. The Arena is located in Wilkes-Barre, Luzerne County, Pennsylvania. Id. ¶ 1.

14. The Arena is designated for public recreational use. Id. ¶ 2.

15. In general, the Arena hosts concerts of national touring acts, the Circus, Disney on Ice, the Harlem Globetrotters, World Wresting Entertainment, district basketball, and AHL hockey, among other events. Doc. 23 ("April 25, 2016 Hr'g Tr.") at 36:25-37:4.

16. Patrons attending events at the Arena arrive primarily by car, turn into an access road from Highland Park Boulevard, park in one of the lots outside the Arena, and then proceed on foot to one of the two entrances known as the East and West Gates. Ex. P-7 ("Pomicter Decl."), ¶ 5.

17. The concrete outside the East and West gates has two distinctive colors, a "dark" concrete and a "light" concrete. Undisputed Facts ¶ 8.

18. The total square footage of the concrete in front of the East Gate is 18,746 square feet. Id. ¶ 9.

19. The total square footage of the concrete in front of the West Gate is 10,560 square feet. Id. ¶ 10.

20. The East Gate is where most of the patrons enter the Arena and where the ticket box office is located. April 25, 2016 Hr'g Tr. at 15:18-19.

21. The light colored concrete is closest to the entrance of the Arena, approximately 37 feet wide, and identified as the "entry bridge." Id. at 16:4-8; 49:2-16; see also Ex. D-C.

22. A sidewalk connects the East and West gates and is approximately 30 feet wide and 321 feet long. Id. at 35:2-12; see also Ex. D-C.

*56423. The sidewalk is generally open to the public, although it is primarily used for individuals attending events at the Arena or purchasing tickets to upcoming events. Id. at 37:5-10.

24. The Arena is large enough to hold up to 10,000 people for an event. Id. at 38:24-39:1.

c. The Protest Policies

25. In 2008, SMG promulgated a protest policy for all events at the Arena (the "Initial Protest Policy"). Ex. D-B.

26. Pursuant to Defendants' Initial Protest Policy and practices in place at that time, Plaintiffs were confined to a barricaded designated area in the parking lot outside the East Gate, which prevented them from approaching patrons of the Circus and providing them with literature. April 25, 2016 Hr'g Tr. at 9:11-22.

27. In March 2016, prior to the filing of the instant action, Defendants revised the Initial Protest Policy to include two barricaded protest areas located on the "dark concrete" outside both the East and West Gates (the "Revised Protest Policy"). Id. at 31:22-23; 32:1-21; see also Ex. D-H. The protest areas would be able to be expanded up to 500 to 700 square feet depending on the number of protestors, with an estimated allowance of up to 5 square foot per person. Id.

28. The Revised Protest Policy states that all protestors "are to be within the designated area outside [of] the East & West Gate," and that "[h]andouts can only be distributed from within [the] designated area." Ex. D-H.

29.

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Related

Silvie Pomicter v. Luzerne County Convention Ctr
939 F.3d 534 (Third Circuit, 2019)

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322 F. Supp. 3d 558, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pomicter-v-luzerne-cnty-convention-ctr-auth-pamd-2018.