Yaris v. Special School Dist. of St. Louis County

558 F. Supp. 545, 9 Educ. L. Rep. 1314, 1983 U.S. Dist. LEXIS 18876
CourtDistrict Court, E.D. Missouri
DecidedMarch 2, 1983
Docket81-423C(2)
StatusPublished
Cited by20 cases

This text of 558 F. Supp. 545 (Yaris v. Special School Dist. of St. Louis County) is published on Counsel Stack Legal Research, covering District Court, E.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Yaris v. Special School Dist. of St. Louis County, 558 F. Supp. 545, 9 Educ. L. Rep. 1314, 1983 U.S. Dist. LEXIS 18876 (E.D. Mo. 1983).

Opinion

558 F.Supp. 545 (1983)

Robert and Mary YARIS, et al., Plaintiffs,
v.
SPECIAL SCHOOL DISTRICT OF ST. LOUIS COUNTY, et al., Defendants.

No. 81-423C(2).

United States District Court, E.D. Missouri, E.D.

March 2, 1983.

*546 Kenneth M. Chackes, Michael J. Hoare, St. Louis, Mo., for plaintiffs.

Jerry Short, Leslie Ann Schneider, Asst. Attys. Gen., Jefferson City, Mo., Ramon J. Morganstern, Clayton, Mo., for defendants.

MEMORANDUM

NANGLE, District Judge.

This is a class action lawsuit to redress alleged deprivation of rights under the Education For All Handicapped Children Act, 20 U.S.C. §§ 1401 et seq.; Section 504 of the Rehabilitation Act of 1973, as amended, 29 U.S.C. § 794; 42 U.S.C. § 1983, the Equal Protection and Due Process Clauses of the Fourteenth Amendment; the Missouri Constitution, and Mo.Rev.Stat. §§ 162.670 et seq.[1] This court's jurisdiction is invoked *547 pursuant to 20 U.S.C. § 1415(e), 28 U.S.C. § 1331, and 28 U.S.C. § 1343. The named plaintiffs instituted this suit to secure declaratory and injunctive relief against the continued application of the defendants' policy, which precludes the provision of educational programs for handicapped children in excess of the traditional 9 month school year. Furthermore, plaintiffs seek a mandatory injunction compelling defendants to make available to the named plaintiffs an educational program that extends beyond 9 months. Plaintiffs allege that defendants have a policy against considering or providing handicapped children with educational services beyond the regular 9 month term, and therefore defendants are not meeting their obligations under applicable federal and state statutes.

This case was tried to the court sitting without a jury. The court having considered the pleadings, the testimony of the witnesses, the documents in evidence, and the stipulations of the parties, and being fully advised in the premises, hereby makes the following findings of fact and conclusions of law, as required by Rule 52 of the Federal Rules of Civil Procedure.

FINDINGS OF FACT

1. Plaintiff Michael Yaris, born February 26, 1971, is a handicapped child who resides with his parents, plaintiffs Robert and Mary Yaris in University City, St. Louis County, Missouri. Robert and Mary Yaris have been authorized in this litigation to serve as next friends of their son Michael.

2. Plaintiff Adam Stubbs, born December 9, 1974, is a handicapped child, who resides with his parents, plaintiffs Stephen and Marilyn Stubbs, in Independence, Missouri. Stephen and Marilyn Stubbs have been authorized in this litigation to serve as next friends of their son Adam.

3. Plaintiff Missouri Development Disabilities and Advocacy Services, Inc. (hereinafter "Missouri P & A") is a not-for-profit corporation having its principle place of business in Jefferson City, Missouri. Pursuant to the Developmental Disabilities Act, 42 U.S.C. §§ 6001, et seq., Missouri P & A is the agency within the State of Missouri charged with the responsibility of advocating for the rights, including educational rights, of persons in the State of Missouri who are developmentally disabled. Funding for Missouri P & A is provided by the Developmental Disabilities Office of the United States Department of Health and Human Services.

4. Defendant Special School District of St. Louis County (hereinafter "SSD") is a body corporate and political subdivision of the State of Missouri and may be sued in its own name. This defendant, among other things, operates schools for the education of the handicapped throughout St. Louis County, Missouri. Said defendant is a recipient of federal financial assistance, including assistance under the Education For All Handicapped Children Act of 1975, 20 U.S.C. §§ 1401, et seq., (P.L. 94-142).

5. Defendant Department of Elementary and Secondary Education (hereinafter "DESE") is a department of the executive branch of the State of Missouri. DESE is responsible under the Education For All Handicapped Children Act of 1975, 20 U.S.C. §§ 1401, et seq., for ensuring that all handicapped children in Missouri receive a free and appropriate public education. As part of that responsibility, DESE supervises all local school districts and other state agencies in their provision of a free and appropriate public education to Missouri handicapped children. DESE also is responsible for establishing procedural safeguards *548 to assure that such an education is provided. The duties of DESE include supervision over the distribution of state and federal funds to local school districts for use in the education of handicapped children. DESE is responsible under Missouri law for assuring that all handicapped children within the State of Missouri are provided access to special educational services. DESE is a recipient of federal financial assistance for the education of handicapped children; the department receives funds under the Education For All Handicapped Children Act of 1975, 20 U.S.C. §§ 1401, et seq.

6. Defendant State Board of Education was created by the Missouri Constitution, Article 9, Section 2(a). The Board is required to carry out the educational policies of the State of Missouri relating to public schools that are provided by law and to supervise instruction in the public schools.

7. Defendant Arthur L. Mallory is the Commissioner of Education of the State of Missouri, a position established by the Missouri Constitution. Defendant Mallory is the chief administrative officer of the State Board of Education and has supervisory authority over the DESE.

8. Defendant Leonard W. Hall is the Assistant Commissioner for the Division of Special Education of the DESE. Dr. Hall's duties and responsibilities include supervision of the operation of all state schools for handicapped children and the monitoring of all special education programs operated by local school districts to assure compliance with federal and state laws pertaining to education for the handicapped.

9. By order of this court dated December 30, 1982, the named plaintiffs in this action, the Yarises, the Stubbs, and Missouri P & A, were authorized to proceed against the state defendants, Arthur L. Mallory, Leonard W. Hall, State Board of Education and DESE, as representatives of a class defined as follows:

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558 F. Supp. 545, 9 Educ. L. Rep. 1314, 1983 U.S. Dist. LEXIS 18876, Counsel Stack Legal Research, https://law.counselstack.com/opinion/yaris-v-special-school-dist-of-st-louis-county-moed-1983.