Wilson v. City of Bastrop

CourtDistrict Court, W.D. Louisiana
DecidedMarch 17, 2021
Docket3:20-cv-00351
StatusUnknown

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

Bluebook
Wilson v. City of Bastrop, (W.D. La. 2021).

Opinion

UNITED STATES DISTRICT COURT WESTERN DISTRICT OF LOUISIANA MONROE DIVISION

DEONDRA WILSON, INDIVIDUALLY AND ON CIVIL ACTION NO. 3:20-cv-00351 BEHALF OF HER MINOR CHILD, TA’LAYSHIA WILSON, SURVIVING HEIR OF JUDGE TERRY A. DOUGHTY THOMAS JOHNSON, III, DECEASED AND THOMAS JOHNSON, JR. MAGISTRATE JUDGE KAYLA D. MCCLUSKY VERSUS

THE CITY OF BASTROP THROUGH HENRY COTTON, MAYOR; BASTROP POLICE DEPARTMENT (“BPD”), THROUGH ALLAN CAMPBELL, CHIEF OF POLICE; JOSHUA A. GREEN, INDIVIDUALLY AND IN HIS OFFICIAL CAPACITY AS “BPD” POLICE OFFICER AND JOHN L. MCKINNEY, INDIVIDUALLY AND IN HIS OFFICIAL CAPACITY AS “BPD” POLICE OFFICER

RULING This lawsuit follows the death of Thomas Johnson, III, (“Johnson”) who was shot and killed by Bastrop Police officers while fleeing on foot, armed with a firearm. Plaintiffs are his heirs. Pending here is Defendants’ “Motion for Summary Judgment on the Issue of Joshua A. Green and John L. McKinney’s Qualified Immunity,” [Doc. No. 23]. Plaintiffs have filed an opposition [Doc. Nos. 32, 36]. Movers have filed a reply to the opposition [Doc. No. 37]. The police officer Defendants who were involved in the shooting, Joshua A. Green (“Green”) and John L. McKinney (“McKinney”), contend they are entitled to qualified immunity from Plaintiffs’ claims. Further, because there was no constitutional violation by Green or McKinney, the movers submit that there can be no liability on the part of the Defendants City of Bastrop and Bastrop Police Department. Plaintiffs oppose the motion on the grounds that the use of force by both Green and McKinney was excessive. For the following reasons, the Motion for Summary Judgment [Doc. No. 23] is GRANTED. I. FACTS AND PROCEDURAL HISTORY

On March 19, 2019, at approximately 3:10 p.m., Bastrop Police received a 911 emergency call reporting that someone in a red truck with rims pulled a gun on someone at the Eden Apartments. The individual was identified as Thomas Johnson.1 Shortly before this call, Bastrop Police received another call reporting that “they are drawing guns” over at Eden Apartments.2 The police dispatcher alerted Bastrop Police officers via radio communication of the two 911 calls and gave a vehicle description of a red truck with rims in the vicinity of the Eden Apartments and identified “Thomas Johnson.”3 Green was working as a patrol officer for the Bastrop Police Department and was handling a domestic dispute call when the dispatch about the Eden Apartments 911 calls came over the radio.4 Green spoke to one of his Captains about the dispatch and proceeded toward the Eden

Apartments.5 Before reaching the Eden Apartments, Green initiated a vehicle stop of a red vehicle with rims on Kammell Street just outside of the Eden Apartments.6 Green instructed the driver to stop

1 Bastrop PD 911 Recording, [Doc. No. 23-3]. 2 Bastrop PD 911 Recording, [Doc. No. 23-4]. 3 Bastrop Dispatch Recording, [Doc. No. 23-5]; see also excerpts of the deposition of Officer Green, [Doc. No. 23- 6, at pp. 25, 28 ]. 4 Green deposition, [Doc.No. 23-6, p. 26] 5 Green deposition [Id., p. 45-46] see also the video recording from Officer Green’s dash mounted camera, [Doc. No. 23-7, at 24:29; Green SP Exhibit 7, 5:00]. 6 Green deposition [Doc. No. 23-6, pp. 31-32]; Green Dash Cam [Doc. No. 23-7, 26:15; Green SP Exhibit 7, 6:15]. the vehicle and turn off the vehicle.7 As Green exited his police unit, the passenger of the vehicle, Johnson, opened the passenger door and stepped to the ground.8 Green instructed Johnson to close the door.9 Green testified that prior to Johnson exiting the vehicle, Green visually observed a silver firearm in Johnson’s grasp pointing towards him through the rear of the vehicle. Plaintiffs contend

that Green’s dashcam video does not show Johnson pointing a firearm at Green, and, further, that Green did not mention seeing a Johnson pointing a firearm at him during the initial investigations of the incident. 10 Johnson began to run toward H.V. Adams Elementary.11 Green testified that he feared that Johnson was going to enter the school and that he (Green) was unaware that the school had been closed a few months earlier.12 Green visually observed a silver semiautomatic handgun in Johnson’s hand with an extended magazine.13 Green gave verbal commands for Johnson to stop and drop the gun, which Johnson did not obey.14 Green’s dashcam video shows a vehicle passing along a driveway in front of the school in the direct path of Johnson as he ran from Green.15

Green pursued Johnson on foot into an open field adjacent to the school and to the east of

7 Green deposition [Doc. No. 23-6, at p. 32]; Green Dash Cam [Doc. No. 23-7, 26:29, 27:01]. 8 Green Dash Cam [Id., 27:03.] 9 Green deposition [Doc. No. 23-6, at p. 37]; Green Dash Cam [Doc. No. 23-7, 27:06; Green SP [Doc. No. 23-9, p. 11]. 10 Green deposition [Doc. No. 23-6, pp. 34-35]. 11 Green deposition [Id., p. 51]; Green Dash Cam [Doc.No. 23-7, 27:10]. 12 Recording of Green’s IA Interview, [Doc. No. 23-8, at 8:06]; see also recording of Officer Green’s State Police interview, [Doc. No. 23-9, 13:55, 34:39]. During his deposition given in October 2020, around a year and a half after the incident, Green testified that he could not recall whether he knew the school was closed. [Doc. No. 23-6, pp. 76-77]. 13 Green deposition [Doc. No. 23-6, pp. 22, 23, 34, 55]; Green Dash Cam [Doc. No. 23-7, 27:06]; Green IA [Doc. No. 23-8, p. 8]; Green SP [Doc. No. 23-9, p. 12]. 14 Green deposition [Doc. No. 23-6, p. 38]; Green Dash Cam [Doc. No. 23-7, 27:08]; Green SP [Doc. No. 23-9, p. 12.] 15 Green Dash Cam [Doc. No. 23-7, 27:08, 27:40.] Kammell Street, and Green repeated commands for Johnson to drop the gun.16 Johnson was running in the direction of other individuals within the field and failed to comply with commands to stop and drop the gun.17 Green testified that he could see the barrel of Johnson’s semiautomatic handgun come up toward him as Johnson ran and that he observed Johnson looking over his shoulder to determine Green’s location.18 Green testified that he was in fear for his life and for the

safety of others, and he engaged Johnson with his gun.19 Green further testified that, because it was around 3:00 p.m., he believed that someone could be at the school.20 Green continued to give loud verbal commands for Johnson to drop his weapon, but Johnson continued to disobey those commands and flee.21 Green testified that he was concerned that, because he had no cover or concealment, Johnson could abruptly turn around and engage him with his weapon at any time.22 Green stated that he did not want Johnson getting to the school and possibly taking hostages.23 Green told State Police investigators that he did not want to die in that field.24 Green saw Johnson running toward two people walking to his left and gave them commands to lay on the ground in fear that Johnson might try to take them hostage.25 Officer McKinney was also working patrol on March 19, 2019.26 McKinney heard Green

communicate over the radio “gun!” and “shots fired” and proceeded to the area.27 McKinney feared that Johnson had fired his gun at Green.28 As McKinney approached Green and Johnson’s

16 Green deposition [Doc. No. 23-6, pp. 55 – 56]; Green Dash Cam [Doc. No. 23-7, 27:10.] 17 Green deposition [Doc. No. 23-6, pp. 39, 56. 18 Green IA [Doc. No. 23-8, 8:21]; Green SP [Doc. No. 23-9, 12:26.] 19 Green IA [Doc. No. 23-8, 8:41]; Green SP [Doc. No. 23-9, 13:27.] 20 Green SP [Id., 13:30.] 21 Green IA [Doc. No. 23-8, 8:56]; Green SP [Doc. No. 23-9, 12:56.] 22 Green deposition [Doc. No. 23-6, p.56]; Green SP [Doc. No. 23-9, 13:38.] 23 Green’s SP [Id., 14:00.] 24 Green’s SP [Id., 14:10.] 25 Green IA [Doc. No. 23-8, 10:19]; Green deposition [Doc. No. 23-6, p. 39] 26 McKinney deposition [Doc. No. 23-10, p. 10] 27 McKinney deposition [Id., p. 29 – 30]; McKinney’s State Police interview recording [Doc. No.

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Wilson v. City of Bastrop, Counsel Stack Legal Research, https://law.counselstack.com/opinion/wilson-v-city-of-bastrop-lawd-2021.