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Lucas v. City of Delray Beach

United States District Court, Southern District of Florida
Sep 14, 2023
21-cv-80469-ALTMAN/Matthewman (S.D. Fla. Sep. 14, 2023)

Opinion

21-cv-80469-ALTMAN/Matthewman

09-14-2023

NICOLE OFSOWITZ LUCAS, Plaintiff, v. CITY OF DELRAY BEACH, a Florida Municipal Corporation, Defendant.


ORDER ON SUMMARY JUDGMENT

ROY K. ALTMAN UNITED STATES DISTRICT JUDGE

On June 2, 2020, our Plaintiff, Nicole Lucas, an officer with the City of Delray Beach Police Department published an expletive-laden rant about Black Lives Matter on her Facebook page and invited anyone who disagreed with her to “unfriend” her. After several members of the public brought Lucas's angry post to the attention of the Police Department, Javaro Sims (the City's Police Chief) initiated disciplinary proceedings against her-at the end of which the Police Department issued her a written reprimand. Lucas now claims that this reprimand cost her a chance to serve as an undercover agent for the DEA.

Under an agreement the Police Department had signed with the DEA, the Department could recommend one of its officers for a detail assignment on a DEA task force. Of course, the DEA- not the Police Department-had the final say over any applicant. When she wrote the incendiary post at issue here, Lucas was being considered for that special assignment. But, after it asked for a copy of Lucas's internal-affairs file, the DEA passed her over. Seeing the Police Department's hand in this decision, Lucas sued our Defendant-the City of Delray Beach-alleging one count of First Amendment retaliation under 42 U.S.C. § 1983 (Count I) and one count of sex discrimination, also under § 1983 (Count II). After we denied the City's motion to dismiss, the parties engaged in substantial discovery and have now asked us to resolve this case at summary judgment. While Lucas has moved for summary judgment only on her First Amendment claim, see generally Plaintiff's Rule 56 Motion for Partial Summary Judgment (“Lucas's MSJ”) [ECF No. 96], the City asks for judgment on both counts, see generally Defendant's Motion for Summary Judgment (“City's MSJ”) [ECF No. 97]. Having carefully reviewed the parties' briefs,the record, and the governing law, we now GRANT the City's MSJ and DENY Lucas's MSJ.

The Facts

By June of 2020, Nicole Ofsowitz Lucas had been “an undercover narcotics agent” in the Delray Beach Police Department's “Vice, Intelligence[,] and Narcotics Unit since 2017 or 2018[.]” Plaintiff's Local Rule 56.1(a) Statement of Material Facts in Support of Motion for Summary Judgment (“Lucas's SOF”) [ECF No. 95] ¶ 2 (citing Dec. 15, 2021 Deposition of Nicole Ofsowitz Lucas (“Lucas Dec. Dep.”) [ECF No. 98-3] at 22:16-18); see also Defendant's Response to Plaintiff s Statement of Material Facts (“City's Response SOF”) [ECF No. 101] ¶ 2 (“Undisputed.”). In those days, the City had a standing agreement with the DEA, under which the City would “detail one experienced officer [from the Police Department] to the DEA West Palm Beach Task Force for minimum two-year periods, during which time the officer is [ ] under the direct supervision and control of DEA supervisory personnel assigned to Task Force.” City's Statement of Material Facts (“City's SOF”) [ECF No. 98] ¶ 65 (citing the Program-Funded State and Local Task Force Agreement [ECF No. 98 19] at 1); see also Plaintiff's Amended Response to the Defendant's Statement of Material Facts in Support of the Motion for Summary Judgment (“Lucas's Response SOF”) [ECF No. 105] ¶ 65 (“Not disputed, but not relevant to summary judgment.”). But the decision to accept an officer into the Task Force has always been reserved to the “DEA's discretion.” City's SOF ¶ 66; see also Lucas's SOF ¶ 66 (“Not disputed[.]”).

At the same time, the City is “responsible for establishing the salary and benefits, including overtime, of the officers assigned to the Task Force[.]” City's SOF ¶ 67; see also Lucas's SOF ¶ 67 (“Not Disputed[.]”). And the City “does not change the salary or benefits of officers detailed to the Task Force . . . and would not have changed the salary or benefits of Lucas had she been detailed to the Task Force.” City's SOF ¶ 68; see also Lucas's SOF ¶ 68 (“Not Disputed[.]”). The Task Force also “doesn't guarantee an officer any particular amount of overtime pay, including more overtime pay than that which the officer would ordinarily receive while not on the Task Force.” City's SOF ¶ 69; see also Lucas's SOF ¶ 69 (“See response to ¶ 68, which Ms. Lucas adopts in response to this paragraph.”).

On June 2, 2020, Lucas-still a police officer with Delray Beach and hoping to join the DEA Task Force-posted the following statement on her private Facebook page:

Fuck everyone who says black lives matter. I can't take your fucking bullshit anymore. ALL LIVES MATTER! BLM encourages racial divide, violence and hate. Look at all the officers killed and injured for trying to protect people & property they don't even know. Officers are being killed every fucking day & now even more so and no one riots or wears shirts that say POLICE LIVES MATTER. If you don't agree with my feelings PLEASE do not comment. If you don't like me now then just unfriend me. But know ALL LIVES MATTER TO ME, AND I GO ABOVE AND BEYOND TO HELP ALL PEOPLE.
City's SOF ¶ 1 (quoting Facebook Post [ECF No. 98-1] at 1 (errors in original)); see also Lucas's SOF ¶ 1 (“Plaintiff posted the statement that the City of Delray Beach quotes in ¶ 1.”).

Word of Lucas's post quickly spread. Indeed, just one day after the post was published, Javaro Sims, the Chief of the Police Department, heard about it twice. First, “on June 3, 2020,” Chief Sims “received a copy of Lucas'[s] Facebook post in a text message from Sharon Edmonds.” City's SOF ¶ 7; see also Lucas's Response SOF ¶ 7 (“Admitted.”). Edmonds, who “became friends with [Lucas] approximately 18 years ago when Lucas was a probation officer,” City's SOF ¶ 10; see also Lucas's Response SOF ¶ 10 (“Admitted[.]”), was also “Facebook friends with Lucas,” City's SOF ¶ 11; see also Lucas's Response SOF ¶ 11 (“Admitted.”). “Edmonds later unfriended Lucas” on Facebook. City's SOF ¶ 12; see also Lucas's Response SOF ¶ 12 (“Admitted[.]”).

Second, later that same day, at a “We Can't Breathe” rally “concerning the murder of George Floyd and police reform,” City's SOF ¶ 13; see also Lucas's Response SOF ¶ 13 (“Admitted[.]”), “an anonymous individual approached Chief Sims and informed him of Lucas'[s] Facebook post, showing it to him on a cell phone,” City's SOF ¶ 17; see also Lucas's Response SOF ¶ 17 (“Plaintiff objects to ¶ 17 as inadmissible hearsay.” (citing Hammond v. Hall, 586 F.3d 1289, 1319 (11th Cir. 2009) (“Anonymous tips are not admissible into evidence to prove the truth of the matter stated in the tip.”))).


Summaries of

Lucas v. City of Delray Beach

United States District Court, Southern District of Florida
Sep 14, 2023
21-cv-80469-ALTMAN/Matthewman (S.D. Fla. Sep. 14, 2023)
Case details for

Lucas v. City of Delray Beach

Case Details

Full title:NICOLE OFSOWITZ LUCAS, Plaintiff, v. CITY OF DELRAY BEACH, a Florida…

Court:United States District Court, Southern District of Florida

Date published: Sep 14, 2023

Citations

21-cv-80469-ALTMAN/Matthewman (S.D. Fla. Sep. 14, 2023)

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