The Satanic Temple Inc. v. The City of Chicago

CourtDistrict Court, N.D. Illinois
DecidedMarch 31, 2024
Docket1:23-cv-02780
StatusUnknown

This text of The Satanic Temple Inc. v. The City of Chicago (The Satanic Temple Inc. v. The City of Chicago) is published on Counsel Stack Legal Research, covering District Court, N.D. Illinois primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
The Satanic Temple Inc. v. The City of Chicago, (N.D. Ill. 2024).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE NORTHERN DISTRICT OF ILLINOIS EASTERN DIVISION

THE SATANIC TEMPLE, INC., and ) ADAM VAVRICK, ) ) Plaintiffs, ) ) Case No. 23 C 2780 v. ) ) Judge Joan H. Lefkow THE CITY OF CHICAGO, ) ) Defendant. )

OPINION AND ORDER In this lawsuit, The Satanic Temple, Inc. and its Minister of Satan, Adam Vavrick, allege that the City of Chicago violates the First Amendment by refusing to allow Vavrick to deliver an invocation on behalf of The Satanic Temple at a Chicago City Council meeting. They seek compensatory, declaratory and injunctive relief. Before the court are plaintiffs’ motion for preliminary injunction and the City’s motion to dismiss for failure to state a claim. (Dkts. 7, 11.) For the reasons explained below, the motion to dismiss is granted in part and denied in part, and the motion for preliminary injunction is denied. BACKGROUND I. Allegations in the Complaint As alleged in the complaint, the Satanic Temple (TST) is a “non-theistic religion” with the mission to “encourage benevolence and empathy among all people, reject tyrannical authority, advocate for common sense and justice, and be directed by the human conscience to undertake noble pursuits.” (Dkt. 1 ¶ 11.) TST further “encourages its members to engage in civic advocacy, confront hateful, repressive and exclusionary ideologies, and promote the common good in accordance” with a set of core beliefs it refers to as “the Seven Tenets.” (Id.) TST is “federally recognized as a church and a religious public charity” and “has more than half a million members located in every state (including Illinois) and internationally.” (Id.) TST’s Illinois Congregation (TST-IL) was founded in 2016 and seeks “to promote

Satanic education within the Congregation, to be a force for positive change within Illinois, [and] to provide a safe and welcoming community for marginalized members of society.” (Id. ¶ 12.) “TST-IL has been recognized as a bona fide religious congregation by the State of Illinois via its annual holiday display in the Illinois State Capitol Rotunda in Springfield and by Cook County in its acceptance of marriage licenses solemnized by TST-IL clergy.” (Id.) Vavrick serves as TST-IL’s “Co-Congregation Head” and is “an ordained Minister of Satan.” (Id. ¶ 13.) Vavrick has been involved with TST since 2014 and in leadership roles with TST-IL since 2020. (Id.) In this capacity, Vavrick “regularly ministers to TST-IL congregants at monthly services, officiates weddings for couples in Illinois and elsewhere, and actively engages with the interfaith community throughout Illinois.” (Id. ¶ 14.) Vavrick’s “role as a bona fide religious leader has

been recognized by the State of Illinois in connection with TST-IL’s annual holiday display in the state capitol; by the Cook County Bureau of Vital Records, which accepts marriage licenses solemnized by [Vavrick]; and by the Chicago Police Department, which has invited his participation in its ‘Faith & Blue’ initiative.” (Id. ¶ 15.) This case focuses on Vavrick’s efforts to give the invocation at a Chicago City Council meeting. The City Council typically begins its meetings by reciting the Pledge of Allegiance and hearing an invocation delivered by a local clergy member. (Id. ¶ 16.) For example, clergymen from St. Luke Church of God in Christ, Park Community Church, and Mount Carmel Bible Church gave the invocations for the December 2022, January 2023, and February 2023 City Council meetings. (Id. ¶ 17.) “In the typical invocation, a member of the clergy offers a brief, uplifting prayer in which he or she asks for spiritual guidance for members of City Council as they undertake their challenging work of representing the diverse communities of the City of Chicago.” (Id. ¶ 16.) Consistent with this tradition, Vavrick “wishes to offer an uplifting message

which draws on his deeply held beliefs and calls upon lawmakers to be guided by empathy, compassion and rationalism in their difficult jobs.” (Id. ¶ 18.) Vavrick’s efforts to deliver an invocation began in January 2020 when he spoke with Chauncy Rice, who at that time served as chief of public engagement for the Office of the City Clerk. (Id. ¶ 19.) Rice informed Vavrick “that he would be happy to schedule [Vavrick] to provide an invocation after ‘standard vetting procedures.’” (Id.) Vavrick then “followed up the conversation with an email in which he provided Mr. Rice with additional information about TST and the local congregation.” (Id. ¶ 20.) Although Rice “acknowledged receipt of the information and stated that he would get back in touch with [Vavrick] in the near future,” he never did. (Id.) Vavrick sent emails monthly for several months to follow-up, but these went

unanswered. (Id.) In August 2021, Vavrick exchanged emails with Ariana Garcia, Rice’s replacement as chief of public engagement in the Office of the City Clerk. (Id. ¶ 21.) Garcia “acknowledged receipt of [Vavrick’s] request and was initially receptive to scheduling him to provide an invocation, but [Vavrick’s] follow-up messages went unanswered.” (Id.) Garcia then told Vavrick in October 2021 that she would follow up with him after the budget cycle. (Id. ¶ 22.) After Vavrick still received no follow-up, he emailed Garcia again in March 2022 and copied Board of Ethics Director Steve Berlin. (Id. ¶¶ 22–23.) In this email, Vavrick “describe[d] the history of his efforts to provide an invocation and ask[ed] for guidance about the process for scheduling.” (Id. ¶ 23.) Garcia responded that she was “working on this request” but did not provide any additional information “regarding the timeline or process,” and did not reply to follow-up emails Vavrick sent in May 2022. (Id.) Vavrick then escalated his efforts by “submitting a FOIA request to determine what had become of his many requests to provide an

invocation” and sending an email in July 2022 to “the various attorneys and individuals in the mayor’s office to whom his previous requests had been forwarded.” (Id. ¶ 24.) Vavrick received no response to this email. (Id.) Vavrick then retained counsel and spoke with City attorneys. (Id. ¶ 25.) “During calls on March 16, 2023 and March 30, 2023, counsel for the City was unable to articulate the process for seeking to provide an invocation and could not say whether the City would permit [Vavrick] to deliver an invocation.” (Id.) Over the course of these three years of communication, the City has “never formally rejected [Vavrick’s] request to provide an invocation” but has instead “simply resisted scheduling him … without providing a definitive answer about whether he will ever be permitted to provide an invocation.” (Id. ¶ 26.)

II. Preliminary Injunction Record Plaintiffs present essentially the same factual record in support of their motion for preliminary injunction as alleged in the complaint, with Vavrick providing an affidavit as evidence in support of his description of the interactions he had with various City officials while seeking approval of his request. (See dkt. 7 at 2–8; dkt. 7-2.) Plaintiffs also submit a list of all the clergy members and their respective churches who gave invocations before City Council meetings from January 2020 to April 2023. (Dkt. 7-1.) Finally, plaintiffs produce an April 3, 2022 email from Alderman Daniel La Spata to Garcia in which La Spata writes, in full: Hey Ariana, I see that I'm still copied on Adam’s emails. If the clerk’s office or IGA should decide to act on his request, please know that it is not at my behest. Once I learned that he wanted to end his convocation with “Hail Satan” it ceased being something I could support. For all of my desire to be inclusive, that would be a betrayal of my personal faith. Kind regards, Daniel (Dkt. 7-3.)1 LEGAL STANDARDS A motion under Federal Rule of Civil Procedure

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The Satanic Temple Inc. v. The City of Chicago, Counsel Stack Legal Research, https://law.counselstack.com/opinion/the-satanic-temple-inc-v-the-city-of-chicago-ilnd-2024.