Sangervasi v. City Of San Jose

CourtDistrict Court, N.D. California
DecidedMay 22, 2023
Docket5:22-cv-07761
StatusUnknown

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

Bluebook
Sangervasi v. City Of San Jose, (N.D. Cal. 2023).

Opinion

1 2 3 4 UNITED STATES DISTRICT COURT 5 NORTHERN DISTRICT OF CALIFORNIA 6 SAN JOSE DIVISION 7 8 WILLIAM GERARD SANGERVASI, Case No. 22-cv-07761-VKD

9 Plaintiff, ORDER GRANTING DEFENDANT'S 10 v. MOTION TO DISMISS; DENYING PLAINTIFF'S MOTION FOR 11 CITY OF SAN JOSE, et al., PRELIMINARY INJUNCTION 12 Defendants. Re: Dkt. Nos. 9, 22

13 14 On December 8, 2022, plaintiff William Gerard Sangervasi II filed a complaint in this 15 action against defendants the City of San Jose, Edgardo Garcia, and Anthony Mata (collectively 16 “City”). On February 14, 2023, Mr. Sangervasi filed a motion for preliminary injunction. Dkt. 17 No. 9. On March 20, 2023, the City filed a motion to dismiss Mr. Sangervasi’s complaint. Dkt. 18 No. 22. The Court heard both motions on April 24, 2023.1 Having considered the parties’ 19 submissions and arguments made at the hearing, the Court grants the City’s motion to dismiss and 20 denies Mr. Sangervasi’s motion for a preliminary injunction. 21 I. BACKGROUND 22 Unless otherwise indicated, the following background facts are drawn from the factual 23 allegations of the complaint, which for present purposes, are deemed true. 24 Mr. Sangervasi was employed by the San Jose Police Department (“SJPD”) as a police 25 officer beginning in 2013. Dkt. No. 1 ¶ 13. In approximately August 2017, defendant Edgardo 26

27 1 All parties have consented that this matter be fully heard and decided by a magistrate judge. Dkt. 1 Garcia, then the Chief of Police, created a Lesbian, Gay, Bisexual, Transgender, and Queer 2 (“LGBTQ”) Advisory Board at the SJPD. Id. ¶ 16. According to the City: 3 The LGBTQ advisory board is comprised of LGBTQ members of the community and employees within SJPD, as well as 4 representatives from other government agencies who have a mission 5 of serving the LGBTQ community. On a regular basis, the board meets with the police chief and works on a variety of issues 6 including police policies and responses. The board serves as an opportunity for LGBTQ community members and LGBTQ 7 employees of the department to have open ongoing discussions with the police chief about LGBTQ issues. The board’s mission includes 8 ensuring equality in policing practices, helping foster an inclusive 9 workplace and as a working group for the departments LGBTQ related projects and initiatives. 10 See id. ¶ 22; San Jose Police Department, LGTBQ Community Liaison, 11 https://www.sjpd.org/about-us/organization/office-of-the-chief-of-police/lgbtq-community-liaison 12 (last accessed: May 18, 2023). Concurrent with the creation of the advisory board, Chief Garcia 13 created a LGBTQ Liaison Officer position within the SJPD. Id. ¶ 32. According to the City: 14 The San Jose Police Department’s LGBTQ Liaison Officer serves as 15 a contact point for members of the LGBTQ community within the police department. The Liaison Officer’s duties include: Working 16 closely with the LGBTQ community on a variety of community- 17 related events and issues[;] Attending meetings and maintaining relationships with LGBTQ community organizations[;] 18 Coordinating multi-governmental agency responses to the needs of the LGBTQ community[; and] Facilitating SJPD participation in 19 LGBTQ related events throughout the region. 20 Dkt No. 1 ¶ 36; San Jose Police Department, LGTBQ Community Liaison, 21 https://www.sjpd.org/about-us/organization/office-of-the-chief-of-police/lgbtq-community-liaison 22 (last accessed: May 18, 2023). 23 In August 2019, as part of the region’s celebration of Silicon Valley Pride Month, Chief 24 Garcia raised a rainbow-themed LGBTQ pride flag in place of the City of San Jose flag on the 25 flagpole outside SJPD headquarters. Id. ¶ 70. 26 On July 28, 2020, Chief Garcia issued official SJPD Memorandum #2020-33, introducing 27 a rainbow-themed LGBTQ pride shoulder patch for the SJPD uniform. Id. ¶ 93. On the same day, 1 personnel to “permanently” wear either a Breast Cancer Awareness, Pride, or Military specialty 2 patch on their uniforms “in lieu of the traditional shoulder patch.” Id. ¶ 122; see also Dkt. No. 9-4 3 at 18. 4 On November 11, 2020, Mr. Sangervasi sent a memorandum to Chief Garcia titled, 5 “Desecration of The Uniform by Memorandum #2020-33.” Dkt. No. 1 ¶ 133; see also Dkt. No. 9- 6 1 ¶ 16; Dkt. No. 9-4. Mr. Sangervasi’s memorandum “detailed his intent to forever protect and 7 defend the sacrosanct neutral and impartial visual appearance of The American Uniform” by 8 submitting various “free speech patch and flag designs” that he wanted the SJPD to adopt. Dkt. 9 No. 1 ¶¶ 134, 143. Mr. Sangervasi proposed patch designs featuring phrases and images such as 10 “natural hetero-sexual pride,” what appears to be Christian rosary beads encircling the traditional 11 SJPD crest, and an image of the Christian archangel Saint Michael. See Dkt. No. 9-4 at 20-21. He 12 proposed flag designs featuring phrases and images including, for example, “father + mother = 13 girls + boys,” “white lives matter,” and the confederate battle flag. See id. at 19. Two days later, 14 on November 13, 2020, Mr. Sangervasi was placed on indefinite administrative leave. Dkt. No. 1 15 ¶ 156. On December 11, 2020, Mr. Sangervasi received a letter from Acting Chief Dave Knopf2 16 denying Mr. Sangervasi’s demand that the SJPD adopt Mr. Sangervasi’s patch and flag designs. 17 Id. ¶ 158. 18 In March 2021, defendant Anthony Mata was confirmed as the new Chief of Police for the 19 SJPD. Id. ¶ 166. Chief Mata has raised the LGBTQ pride flag at SJPD headquarters and 20 personally worn the LGBTQ pride patch on his own uniform. Id. ¶ 168. 21 On June 7, 2021, the SJPD sent Mr. Sangervasi notice of an internal affairs complaint 22 against him, initiated by the office of the Chief of Police. Id. ¶ 169. On August 19, 2021, 23 Mr. Sangervasi met with internal affairs as part of its investigation. Id. ¶ 174. On November 10, 24 2021, the SJPD served Mr. Sangervasi a Notice of Intended Discipline (“NOID”) officially stating 25 SJPD’s intent to terminate Mr. Sangervasi’s employment. Id. ¶ 182. On January 28, 2022, 26 Mr. Sangervasi responded to the NOID in writing. Id. ¶ 191. The SJPD served Mr. Sangervasi a 27 1 Notice of Discipline on February 11, 2022, terminating him from his position effective February 2 12, 2022. Id. ¶ 196. Mr. Sangervasi appealed his termination to San Jose’s Civil Service 3 Commission. Id. ¶¶ 199-203. The Civil Service Commission issued its order upholding the 4 termination on May 12, 2022. Id. ¶ 206. On August 10, 2022, pursuant to California Code of 5 Civil Procedure § 1094.5, Mr. Sangervasi filed a petition for a writ of administrative mandate in 6 California state court requesting judicial review of the Civil Service Commission’s decision. Id. 7 ¶ 207. As of the date of this order, Mr. Sangervasi’s state court petition remains pending.3 8 In his complaint in this action, Mr. Sangervasi asserts three claims for relief under 42 9 U.S.C. § 1983. He alleges that the City violated the free speech and free exercise of religion 10 clauses of the First Amendment and the equal protection clause of the Fourteenth Amendment. Id. 11 ¶¶ 209-277. In addition, he asserts three claims for violations of similar provisions of the 12 California Constitution. Id. ¶¶ 278-295. Mr. Sangervasi seeks declaratory and injunctive relief, 13 nominal and punitive damages, and costs. Id. at 59-65. 14 II. LEGAL STANDARDS 15 A. Motion to Dismiss 16 A motion to dismiss for failure to state a claim pursuant to Rule 12(b)(6) of the Federal 17 Rules of Civil Procedure tests the legal sufficiency of the claims in the complaint. Navarro v. 18 Block, 250 F.3d 729, 732 (9th Cir. 2001). Dismissal is appropriate where there is no cognizable 19 legal theory or an absence of sufficient facts alleged to support a cognizable legal theory. Id. 20 (citing Balistreri v.

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

Related

Arciniega v. Freeman
404 U.S. 4 (Supreme Court, 1971)
Plyler v. Doe
457 U.S. 202 (Supreme Court, 1982)
City of Cleburne v. Cleburne Living Center, Inc.
473 U.S. 432 (Supreme Court, 1985)
Amoco Production Co. v. Village of Gambell
480 U.S. 531 (Supreme Court, 1987)
Bowen v. Kendrick
487 U.S. 589 (Supreme Court, 1988)
Lujan v. Defenders of Wildlife
504 U.S. 555 (Supreme Court, 1992)
Bell Atlantic Corp. v. Twombly
550 U.S. 544 (Supreme Court, 2007)
Ashcroft v. Iqbal
556 U.S. 662 (Supreme Court, 2009)
Pleasant Grove City v. Summum
555 U.S. 460 (Supreme Court, 2009)
Sloman v. Tadlock
21 F.3d 1462 (Ninth Circuit, 1994)
Dumas v. Kipp
90 F.3d 386 (Ninth Circuit, 1996)
Javiad Akhtar v. J. Mesa
698 F.3d 1202 (Ninth Circuit, 2012)
Manzarek v. St. Paul Fire & Marine Insurance
519 F.3d 1025 (Ninth Circuit, 2008)
Coto Settlement v. Eisenberg
593 F.3d 1031 (Ninth Circuit, 2010)

Cite This Page — Counsel Stack

Bluebook (online)
Sangervasi v. City Of San Jose, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sangervasi-v-city-of-san-jose-cand-2023.