Daves v. Dallas County, No. 18-11368 (5th Cir. 2023)
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The plaintiffs were a class of people who had been charged with misdemeanor and felony crimes in Dallas County and who were allegedly unconstitutionally incarcerated pretrial solely because they were financially unable to post required bail. While the case was arguably moot, the Fifth Circuit determined it had the discretion to determine whether a federal court should have proceeded to the merits of plaintiffs’ bail “reform” lawsuit in the first place.
The court explained that Younger requires federal court abstention when three criteria are met: “(1) the federal proceeding would interfere with an ongoing state judicial proceeding; (2) the state has an important interest in regulating the subject matter of the claim; and (3) the plaintiff has an adequate opportunity in the state proceedings to raise constitutional challenges. Finding all three prongs of Younger were met, the court overruled ODonnell I, ODonnell v. Harris Cnty., 882F.3d 528 (5th Cir. 2018), holding against abstention in this matter. As an alternate holding, the court ultimately determined that the plaintiffs' case was moot.
This opinion or order relates to an opinion or order originally issued on December 28, 2020.
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