Brown v. City of Tulsa, No. 23-5133 (10th Cir. 2025)
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Wayne Brown, a Tulsa police officer, was terminated after a private citizen, Marq Lewis, brought several of Brown's old Facebook posts to the attention of the City of Tulsa and the Tulsa Police Department. The posts included images and messages that were deemed offensive and in violation of the department's social media policy. Brown filed a lawsuit claiming his termination violated his First Amendment rights and the Equal Protection Clause of the Fourteenth Amendment. He also brought a wrongful discharge claim under Oklahoma law.
The United States District Court for the Northern District of Oklahoma dismissed Brown's federal claims under Rule 12(b)(6) and declined to exercise supplemental jurisdiction over his state law claim. The court concluded that the City's interest in maintaining public confidence in the police force outweighed Brown's free speech rights and that Chief Jordan was entitled to qualified immunity. The court also dismissed Brown's Equal Protection claim, determining it was a "class-of-one" theory foreclosed by Supreme Court precedent.
The United States Court of Appeals for the Tenth Circuit reviewed the case. The court reversed the dismissal of Brown's First Amendment claim, finding that the district court erred in conducting the Pickering balancing test at the motion to dismiss stage and in granting qualified immunity to Chief Jordan. The court affirmed the dismissal of Brown's Equal Protection claim, agreeing that it was a non-cognizable "class-of-one" claim in the public employment context. The court also reversed the district court's decision to decline supplemental jurisdiction over Brown's state law claim and remanded for further proceedings.
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