Griggs v. Chickasaw County

by
After plaintiff's position was eliminated, he filed a 42 U.S.C. 1983 action against the county, alleging a First Amendment retaliation claim. The Fifth Circuit affirmed the district court's denial of the county's motions for summary judgment, judgment as a matter of law, and new trial. The court held that the Rooker-Feldman doctrine was inapplicable; plaintiff's claim was not judicially estopped based on his response in his unemployment application; and plaintiff's failure to appeal the Board's decision in state court did not preclude his First Amendment claim under section 1983.The court also held that plaintiff's position was not a policymaking position, and the jury's verdict in favor of plaintiff was supported by sufficient evidence. In this case, there was evidence that at least three of the five board members had retaliatory motive, and the evidence was legally sufficient to support the jury's verdict. View "Griggs v. Chickasaw County" on Justia Law