Torts Keyed to Henderson
Snyder v. Phelps
Facts
Fred Phelps (Defendant), founder of the Westboro Baptist Church (Defendant), organized a picket and protest of a military funeral held in Maryland. Phelps and several members of his congregation stood holding signs outside the Maryland State House, U.S. Naval Academy, and the church where the funeral took place. The signs stated phrases such as “Thank God for 9/11,” “America is Doomed,” “Thank God for IEDs,” and “Thank God for Dead Soldiers.” Albert Snyder (Plaintiff), the father of the fallen soldier, noticed the Westboro picketers but could not read the content on the signs. Plaintiff sued Phelps, the church, and the other protestors (collectively Defendants) in federal district court alleging five state tort law claims including intentional infliction of emotional distress (IIED). At trial, it was shown that Phelps had notified local authorities in advance of the protest and had complied with police instructions in staging the demonstration. The protestors occupied a 10- by 25-foot plot of public land approximately 1,000 feet from the church where the funeral was held. There was no evidence of violence, yelling, or other disruptive behavior during the 30 minute protest period before the funeral. Plaintiff testified that although he did not see what was written on the picketers’ signs, he had suffered severe depression and emotional anguish. A jury found for Plaintiff on the IIED claim an awarded him $2.9 million in compensatory damages and $8 million in punitive damages. The district court lowered the punitive damages amount to $2.1 million but affirmed the jury’s verdict in all other respects. Defendants appealed. The court of appeals reversed and held that the protest was protected by the First Amendment. The U.S. Supreme Court granted certiorari to review.
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