Kampschroer v. Ramsey County

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Plaintiffs filed separate actions against various Minnesota cities, counties, and law enforcement entities alleging violations of the Driver’s Privacy Protection Act (DPPA), 18 U.S.C. 2724(a). In separate orders, the district court denied in part defendants’ motions to dismiss, including claims by many defendants that they are entitled to qualified immunity. The City of Minneapolis appeals the denial of qualified immunity in the Karasov action, and numerous Minnesota counties appeal the denial of qualified immunity in the Kampschroers action. After the parties briefed these appeals, the court issued its decision in McDonough v. Anoka County, which squarely addressed the issue of qualified immunity. The court concluded that McDonough is controlling precedent. The court also concluded that its decision that the statutory term “obtain” is unambiguous controls defendants' additional argument that the rule of lenity entitles them to qualified immunity. Accordingly, the court affirmed the judgment. View "Kampschroer v. Ramsey County" on Justia Law