Ward v. Child Protection Services

CourtDistrict Court, E.D. Washington
DecidedMarch 6, 2020
Docket4:19-cv-05014
StatusUnknown

This text of Ward v. Child Protection Services (Ward v. Child Protection Services) is published on Counsel Stack Legal Research, covering District Court, E.D. Washington primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Ward v. Child Protection Services, (E.D. Wash. 2020).

Opinion

1 U.S. F DIL ISE TD R I IN C TT H CE O URT EASTERN DISTRICT OF WASHINGTON 2 Mar 06, 2020

SEAN F. MCAVOY, CLERK 3 UNITED STATES DISTRICT COURT EASTERN DISTRICT OF WASHINGTON 4 DUANE WARD, an individual; and No. 4:19-cv-05014-SMJ 5 RACHELLE WARD, an individual; ORDER GRANTING HOSPITAL 6 Plaintiff, DEFENDANTS’ MOTION TO DISMISS AND GRANTING IN 7 v. PART SEATTLE CITY DEFENDANTS’ MOTION TO 8 COUNTY OF BENTON, an entity; DISMISS CHILD PROTECTION SERVICES, an 9 entity; CHILD WELFARE SERVICES, an entity; CHILDREN’S 10 ADMINISTRATION, an entity; SEATTLE CHILDREN’S HOSPITAL, 11 an entity; CHILDREN’S PROTECTION PROGRAM, an entity; 12 PROTECTION PROGRAM SCAN TEAM, an entity; DEPARTMENT OF 13 CHILD, YOUTH, AND FAMILY, an entity; DEPARTMENT OF SOCIAL 14 AND HEALTH SERVICES, an entity; CITY OF SEATTLE, an entity; 15 SEATTLE POLICE DEPARTMENT, an entity; CITY OF RICHLAND, an 16 entity; ANA BROWN, an individual; ERIC CHOW, an individual; MARCO 17 DEOCHOA, an individual; JENNIFER GOURLEY, an individual; KEVIN 18 SHARP-SMITH, an individual; SHANNON SULLIVAN, an individual; 19 DAMON JANSEN, an individual and official capacity; HONORABLE JERRI 20 POTTS, individual and official 1 capacity; KATHY LUND, an individual; LESLIE SMITH, individual 2 and official capacity; LAUREN TRUSCOTT, individual and official 3 capacity; REBECCA WIESTER, individual and official capacity; ROSS 4 HUNTER, official capacity; JODY BECKER, individual capacity; 5 JENNIFER STRUS, individual capacity; and DOES 1–100 6 INCLUSIVE;

7 Defendants.

8 9 Before the Court, without oral argument, are the Joint Motion to Dismiss 10 Plaintiffs’ Second Amended Complaint by Defendants Seattle Children’s Hospital, 11 Ana Brown, Eric Chow, M.D., Kelly Faucette, M.D., and Rebecca Weister, M.D. 12 (collectively, the “Hospital Defendants”), ECF No. 52, and the Motion to Dismiss 13 by Defendants City of Seattle, Seattle Police Department, Leslie Smith and Lauren 14 Truscott (collectively, the “Seattle City Defendants”), ECF No. 73. Defendants 15 move to dismiss pro se Plaintiffs Duane and Rachelle Ward’s 42 U.S.C. § 1983 16 claims on the grounds that the claims are barred by the statute of limitations and fail 17 to state a claim on which relief may be granted. Having reviewed the briefing and 18 the file in this matter, the Court is fully informed and grants the Hospital 19 Defendants’ motion in full and the Seattle City Defendants’ motion in part. 20 1 BACKGROUND 2 Plaintiffs filed this action on January 25, 2019, seeking damages and

3 unspecified injunctive relief for alleged violations of their constitutional rights by 4 twelve named and thirty unnamed Defendants. ECF No. 1. On April 18, 2019, 5 before any Defendant appeared in this action, Plaintiffs filed a First Amended

6 Complaint removing some Defendants and naming additional Defendants. ECF No. 7 2. Motions to dismiss were filed by Defendants Seattle Children’s Hospital and its 8 Children’s Protection Program and Protection Program Scan Team, Ana Brown, 9 Eric Chow, M.D., and Rebecca Weister, M.D., see ECF No. 7; the County of

10 Benton and the Honorable Jerri Potts of the Benton County Superior Court, see ECF 11 No. 9; and Washington Child Protective Services, Child Welfare Services, 12 Children’s Administration, Department of Children, Youth, and Families,

13 Department of Social and Health Services, Marco De Ochoa, Jennifer Gourley, 14 Kathy Lund, and Department of Children and Family Services filed a motion to 15 dismiss, see ECF No. 16. Plaintiffs were granted leave to file a Second Amended 16 Complaint and the motions to dismiss were denied as moot. ECF No. 41.

17 On June 25, 2019, Plaintiffs filed the operative Second Amended Complaint 18 asserting claims under 42 U.S.C. § 1983 for alleged violations of their due process 19 rights under the Fourteenth Amendment and familial association rights under the

20 First Amendment. ECF No. 43. On September 10, 2019, the Court granted 1 Defendants County of Benton and the Honorable Jerri Potts’ Motion to Dismiss the 2 claims against those defendants as barred by judicial immunity and for lack of

3 proper service. ECF No. 75. 4 The allegations in the Second Amended Complaint, which the Court must 5 accept as true for purposes of the instant motions to dismiss, arise out of events

6 following Plaintiffs’ minor child C.W.’s diagnosis with a serious form of leukemia 7 and enrollment in a clinical study for treatment. ECF No. 43 at 12. When C.W. was 8 required to relocate to Seattle for the clinical study, his mother relocated with him. 9 Id. A family friend, John Hudspeth, also came to Seattle to assist as one of C.W.’s

10 caregivers. Id. at 13. Although Hudspeth allegedly “planned to be there one or two 11 nights,” he stayed with C.W. and Ms. Ward for several months. Id. One day when 12 Ms. Ward was away and Hudspeth remained at the hospital with C.W., Plaintiffs

13 assert a nurse gave C.W. an overdose of opioid painkillers. Id. When Hudspeth 14 questioned the nurse about the overdose “based [] on the manner in which C.W. 15 was behaving,” she allegedly became angry and, to cover up her mistake, falsely 16 reported that Hudspeth had engaged in inappropriate behavior. Id.

17 On June 23, 2014, three days after C.W. was admitted to the hospital with a 18 fever, Defendant Brown, a social worker with Seattle Children’s Hospital’s 19 suspected child abuse and neglect (SCAN) team, informed Ms. Ward that she was

20 not permitted to take C.W. from the hospital. Id. at 14. At some point before this 1 interaction, Defendant Faucette, an attending physician and head of pediatrics at 2 Seattle Children’s Hospital, had reported concerns over Hudspeth’s conduct and

3 Defendant Weister, an attending physician and the Medical Director of the SCAN 4 team, decided to begin an investigation. Id. Plaintiffs assert Defendant Truscott, a 5 detective with the Seattle Police Department, reviewed an interview in which C.W.

6 indicated Hudspeth had done nothing inappropriate. Id. Defendant Truscott then 7 wrote a custody order to take custody of C.W. from Plaintiffs. Id. In an interview 8 with Plaintiffs and others on June 25, 2014, Defendants Truscott and Brown 9 allegedly berated Plaintiffs as parents and made false statements about evidence of

10 C.W. having been digitally raped. Id. at 14–15. 11 Throughout their investigations and the subsequent dependency proceeding, 12 Plaintiffs claim Defendants Brown and Truscott engaged in various acts of

13 wrongdoing, including giving false and misleading statements and omitting or 14 refusing to pursue mitigating evidence. Id. at 15–16. Defendant Truscott and her 15 partner also allegedly shredded evidence of an interview with Hudspeth. Id. at 16. 16 Plaintiffs assert Defendant Weister relied on Defendant Brown’s and Defendant

17 Truscott’s representations instead of other evidence that reflected Hudspeth did not 18 act inappropriately to C.W. Id. at 17. Plaintiff further allege social worker 19 Defendants Deochoa and Sullivan coerced Plaintiffs into signing a Voluntary

20 Placement Agreement by telling them signing the agreement would result in C.W. 1 being returned to their custody more quickly. Id. at 18. A dependency proceeding 2 was begun, but ultimately was dismissed. Id. at 19. C.W. was in state custody for

3 eight months in relation to the first dependency proceedings. Id. at 15. Plaintiffs 4 represent they left Seattle in February 2015. Id. at 2. 5 In January 2016,1 a second dependency proceeding commenced in Benton

6 County, Washington. Id. at 26–28.

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