Darrin Lewis, Sr. v. Ascension Parish School Board

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In this equal protection case, plaintiff appealed from a grant of summary judgment in favor of the School Board. The district court rejected plaintiff's claim that the School Board's student assignment plan, formulated to address school population changes while "maintaining the district's unitary status," was impermissibly race-based and discriminatory against minority elementary, middle, and high school students zoned for East Ascension High School. At issue on appeal was whether child A had standing; prescription of plaintiff's claims based upon the 2002 feeder plan modification; and whether Option 2f violated the Fourteenth Amendment's equal protection clause. The court held that because it remanded on other grounds, the court vacated the district court's ruling on whether plaintiff had standing to pursue claims on behalf of child A and remanded for reconsideration by the district court in the first instance as to whether to permit plaintiff to cure his defective allegations of capacity. The court also held that the district court correctly held that the 2002 feeder plan modifications claims were time-barred. The court finally held that because factual questions existed as to whether Option 2f had both a racially discriminatory motive and a disparate impact, and the district court misapprehended the significance of the evidence before it, that court erred in awarding summary judgment under a rational basis test. Accordingly, further factual development was required. View "Darrin Lewis, Sr. v. Ascension Parish School Board" on Justia Law