Riley v. City Of Boston

CourtDistrict Court, D. Massachusetts
DecidedApril 18, 2025
Docket1:24-cv-11513
StatusUnknown

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

Bluebook
Riley v. City Of Boston, (D. Mass. 2025).

Opinion

UNITED STATES DISTRICT COURT DISTRICT OF MASSACHUSETTS

* JAMES P. RILEY, and the BOSTON FIRE * FIGHTERS INTERNATIONAL * ASSOCIATION OF FIREFIGHTERS, * LOCAL 718, * * Plaintiffs, * Civil Action No. 24-cv-11314-ADB * v. * * CITY OF BOSTON, and PAUL F. * BURKE, in his capacity as the * Commissioner of the City of Boston, Fire * Department, * * Defendants. * *

MEMORANDUM AND ORDER

BURROUGHS, D.J.

Plaintiffs James P. Riley (“Riley”) and the Boston Firefighters International Association of Firefighters, Local 718 (“the Union,” and, with Riley, “Plaintiffs”) bring this action against the City of Boston and Commissioner Paul F. Burke (“Commissioner Burke”) both in his individual and official capacities (collectively, “Defendants”). They allege that Defendants violated Plaintiffs’ First Amendment rights when Commissioner Burke suspended Riley for sending an email to Boston’s Chief of the Streets regarding deteriorating sidewalk conditions outside the fire station. [ECF No. 1 (“Complaint” or “Compl.”)]. Now pending before the Court is Defendants’ motion to dismiss, [ECF No. 8 (“Mot.”)], which is DENIED. I. BACKGROUND The following facts are taken from the Complaint, the factual allegations of which are assumed to be true when considering a motion to dismiss. See Ruivo v. Wells Fargo Bank, N.A., 766 F.3d 87, 90 (1st Cir. 2014). As it may on a motion to dismiss, the Court has also considered

“documents incorporated by reference in [the complaint], matters of public record, and other matters susceptible to judicial notice.” Giragosian v. Ryan, 547 F.3d 59, 65 (1st Cir. 2008) (alteration in original) (quoting In re Colonial Mortg. Bankers Corp., 324 F.3d 12, 20 (1st Cir. 2003)). A. Factual Background Riley is a firefighter for the Boston Fire Department (“BFD”), assigned to “Tower Ladder 10,” which is located at 746 Centre Street, Jamaica Plain (“746 Centre Street firehouse”). [Compl. ¶¶ 3, 11, 13]. Prior to his employment as a firefighter, Riley worked at Boston Emergency Medical Services for eleven years and at the Boston City Hospital for a year. [Id. ¶ 35]. At all times relevant to the Complaint, Riley was a member of the Union and held a

position on the Union Executive Board, Division 2. [Id. ¶¶ 3, 31]. The Union is the duly certified collective bargaining agent for uniformed firefighters in the City of Boston, and it represents its members regarding the hours, wages, and working conditions of their employment. [Id. ¶ 4]. Beginning in April 2021, Riley and other firefighters assigned to Tower Ladder 10 noticed that the sidewalks in front of the station were unsafe. [Compl. ¶ 14]. Specifically, the handicap ramps were deteriorating and had become uneven, and the concrete apron was broken. [Id. ¶ 14]. Riley and other firefighters expressed their concerns to Captain Michael Moran (“Captain Moran”), the captain assigned to Tower Ladder 10. [Id. ¶¶ 12, 14].

2 Numerous civilians complained to Riley and the firefighters assigned to the 746 Centre Street firehouse and called the City of Boston’s “311 hotline” to request assistance. [Compl. ¶¶ 15, 16]. As relevant here, their complaints included that a nearby resident had fallen outside the firehouse and sustained an injury when she tripped on the sidewalk cracks; baby strollers had

become stuck in the sidewalk cracks, with one almost toppling over with a baby inside; young children were falling and scraping their knees due to the broken concrete apron; and multiple residents in wheelchairs had become stuck while attempting to use the deteriorating handicapped ramp. [Id. ¶ 15]. Riley and the other firefighters sent these complaints up the chain of command with no resolution. [Id.]. On or around April 21, 2021, Captain Moran emailed the BFD Facilities Division from his city email requesting repairs to the sidewalk and attaching photographs of the damaged area. [Compl. ¶ 17]. This email did not result in any repairs. [Id. ¶ 18]. On or around February 11, 2022, Captain Moran sent another email to the Facilities Division, again requesting that the sidewalk be repaired. [Compl. ¶ 19]. His email stated that

the concrete apron was “becoming a hazard to pedestrians walking by,” including to “[people with disabilities] and families pushing a stroller,” and he shared an incident from earlier that day “where a stroller almost toppled over.” [Id.]. Joanne Callahan from the BFD Facilities Division looped Greg Mullen at R. Mullen Associates into the conversation, requesting a quote for the repair. [Id. ¶ 20]. Mullen responded that he was “on it.” [Id. ¶ 21]. On or around March 20, 2022, Captain Moran sent a third email to the BFD Facilities Division, requesting an update and attaching photographs showing that the condition of the sidewalks was worsening. [Compl. ¶ 22]. Mullen responded that he “submitted quotes for 2 options[:] Concrete & asphalt,” and he was “waiting on a PO for one of them.” [Id. ¶ 23]. That

3 same day, Captain Moran emailed all firefighters assigned to Tower Ladder 10 to notify them that BFD was aware of the sidewalk issue and that several quotes from contractors to fix it were being collected. [Id. ¶ 24]. On or around June 16, 2022, Captain Moran sent a fourth email to the Facilities Division

requesting an update. [Compl. ¶ 25]. In his email, Captain Moran shared that “a child fell and scraped his knee while walking on the broken concrete apron.” [Id.]. The email did not result in any repairs. [Id. ¶ 26]. On or about April 20, 2023, Captain Moran sent a fifth email to the Facilities Division requesting an update on the sidewalk and on a separate request for a new generator. [Compl. ¶ 27]. Director Patrick Lee responded that the requests had “raised concern with the budget department,” that the Centre Street firehouse was “among 3 or 4 houses that need new generators and of many that need apron work,” and that he was “putting together two packaged projects [to] address both [of] these department-wide issues.” [Id. ¶ 28]. The email exchange did not result in any repairs. [Id. ¶ 29].

On or about September 26, 2023, Riley sent an email (the “September 26 email”) from his union email address to the City of Boston Chief of the Streets Department, Jascha Franklin- Hodge, stating: I am writing you to ask for assistance with an ongoing issue in front of the firehouse at 746 Cent[re St.] JP. The sidewalk and handicapped ramps have been marked up for replacement by the city since the summer of 2022. To date there have been some hot top placed to help ease the issue but not permanent resolution. Most if not all of the ramps going down Cent[re St.] were repaired and replaced last summer by the city.

As a firefighter who proudly works in the neighborhood and spends time outside the firehouse interacting with the constituents[,] we are constantly asked when this issue is going to be resolved. We have no answer and can only direct them to make a 311 complaint.

4 I strongly believe [this] is a safety issue for the citizens and guests who walk by here on a regular basis. Is the city going to wait until someone is injured before resolving this public safety issue?

Please see attached photos taken recently for reference.

[T]hanks[,] Jim

[ECF No. 1-10 at 3]; see also [Compl. ¶ 30]. Riley sent the September 26 email in his capacity as an Executive Board Member of the Union and with approval from the Union President Samuel Dillon, “who was concerned about this unaddressed safety issue for both his firefighter membership and the civilians living in the area.” [Compl. ¶ 31]. He signed it using a signature block for the Union. [ECF No. 1-10 at 3].

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Foley v. Town of Randolph
598 F.3d 1 (First Circuit, 2010)
Monell v. New York City Dept. of Social Servs.
436 U.S. 658 (Supreme Court, 1978)
Harlow v. Fitzgerald
457 U.S. 800 (Supreme Court, 1982)
Connick Ex Rel. Parish of Orleans v. Myers
461 U.S. 138 (Supreme Court, 1983)
Wilson v. Layne
526 U.S. 603 (Supreme Court, 1999)
Garcetti v. Ceballos
547 U.S. 410 (Supreme Court, 2006)
Bell Atlantic Corp. v. Twombly
550 U.S. 544 (Supreme Court, 2007)
Ashcroft v. Iqbal
556 U.S. 662 (Supreme Court, 2009)
Pearson v. Callahan
555 U.S. 223 (Supreme Court, 2009)
Mercado-Berrios v. Cancel-Alegria
611 F.3d 18 (First Circuit, 2010)
Lewis v. City Of Boston
321 F.3d 207 (First Circuit, 2003)
Banco Santander De Puerto Rico v. Lopez-Stubbe
324 F.3d 12 (First Circuit, 2003)
Guilloty-Perez v. Fuentes Agostini
339 F.3d 43 (First Circuit, 2003)
Fabiano v. Hopkins
352 F.3d 447 (First Circuit, 2003)
Wilson v. City of Boston
421 F.3d 45 (First Circuit, 2005)
Curran v. Cousins
509 F.3d 36 (First Circuit, 2007)
Gagliardi v. Sullivan
513 F.3d 301 (First Circuit, 2008)
Davignon v. Hodgson
524 F.3d 91 (First Circuit, 2008)
Giragosian v. Ryan
547 F.3d 59 (First Circuit, 2008)

Cite This Page — Counsel Stack

Bluebook (online)
Riley v. City Of Boston, Counsel Stack Legal Research, https://law.counselstack.com/opinion/riley-v-city-of-boston-mad-2025.