Standley v. Edmonds-Leach, No. 13-7104 (D.C. Cir. 2015)
Annotate this CaseStandley went to a D.C. public library to complete her homework and study for upcoming college exams. She sat in an area of the library reserved for children. Officer Edmonds-Leach asked Standley to move. Finding no seats in the adult area, Standley relocated to the young-adult area, although she was too old to sit there. The officer again asked Standley to move. Aan altercation ensued. The officer arrested Standley. Standley sued Officer Leach and the District of Columbia for the unconstitutional use of excessive force and common law torts. At trial, Standley and Officer Leach disputed the specifics of their encounter. Other than an inconclusive video, the only evidence was provided by Kellar, a librarian. The court allowed the defense to call Kellar for impeachment, although Kellar had not been identified before trial in accordance with Federal Rule of Civil Procedure 26(a) and the defense had agreed not to call undisclosed witnesses. The D. C. Circuit reversed, finding that Kellar’s testimony was not confined to impeachment; that the outcome of the trial turned on the jury’s assessment of the credibility of Standley and Officer Edmonds-Leach; and that the testimony of the relatively disinterested witness likely influenced that outcome.
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