Wright v. O’Day

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D.W., age 13, alleged (42 U.S.C. 1983) that state defendants violated his procedural due process rights by listing him on the Tennessee child abuse registry. After an interview with a case manager, D.W. requested review and submitted information regarding the alleged victim’s inconsistent statements, but never was told the evidence against him. Children’s Services upheld the classification. Children’s Services then denied administrative review because the classification did not affect his employment. D.W. claimed that being listed deprived affected his liberty interest in pursuing common occupations, because Tennessee law prohibits his employment with child-care agencies and programs and adult-daycare centers and that the listing prohibits contact with children during the course of state agency employment. The district court held that D.W. did not present a justiciable controversy because the alleged deprivation was the possibility of future harm. The Sixth Circuit reversed. D.W. has standing to seek additional procedures because those procedures, if granted, could result in relief that is sufficiently concrete and particularized. The classification is complete and will not be expunged from state records; this is not a generalized grievance or an injury to a third party. No further facts are needed to determine whether the boy was afforded adequate process. View "Wright v. O'Day" on Justia Law