Gordon v. Bierenga, No. 20-2013 (6th Cir. 2021)
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The events were recorded by Officer Bierenga’s dashcam and the White Castle surveillance system. Bierenga attempted a traffic stop. After failing to pull over for several blocks, Gordon came upon a red light at a busy intersection and stopped. Bierenga approached Gordon’s car and spoke to him through the window. Bierenga perceived that Gordon was under the influence of something. When the light turned green and the traffic moved forward, Gordon accelerated. Approximately 15 minutes later, Bierenga spotted Gordon's car at the White Castle drive-thru. Bierenga parked in front of Gordon’s car and walked around Gordon’s car with his weapon drawn. Gordon reversed, bumped the car behind him, and drove forward, crashing into Bierenga’s car while Bierenga stood stuck between the cars and the building. As Gordon maneuvered his vehicle. Bierenga approached Gordon’s rolled-down window, pointing his gun. Gordon backed up, turned his wheels away from Bierenga, then attempted to flee. Bierenga yelled “stop,” fired four shots at Gordon, reentered his vehicle, and followed Gordon. Gordon presumably lost consciousness, then crashed into another car. Gordon later died.
In a suit under 42 U.S.C. 1983, the district court denied Bierenga’s for summary judgment asserting qualified immunity. The Sixth Circuit reversed; precedent cited by the district court is not similar enough to this case to define “clearly established” law. The plaintiff is unable to point to a case that would place every reasonable officer in Bierenga’s position on notice that his use of force in this specific situation was unlawful.
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