Ahmed v. Weyker, No. 18-3461 (8th Cir. 2020)
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Plaintiffs filed suit against defendant, a police officer, alleging civil rights claims related to her conduct during an investigation into an alleged interstate sex-trafficking scheme. Specifically, plaintiffs claimed that defendant violated their Fourth Amendment rights by submitting a false affidavit causing their arrest. The district court concluded that plaintiffs may proceed on both a Bivens claim and a claim under 42 U.S.C. 1983.
The Eighth Circuit concluded that this case is meaningfully different from a Bivens action in four ways: first, the sorts of actions being challenged here are different; second, defendant's role in the arrests was different; third, although the mechanism for inquiry is a closer call, there is still one meaningful difference; and fourth, proving these claims would require a different type of showing. Accordingly, the court vacated and remanded to the district court to dismiss plaintiffs' Bivens claims and to determine whether their case can proceed under section 1983.
Court Description: [Stras, Author, with Kelly and Erickson, Circuit Judges] Civil case - Bivens. In an action where plaintiffs alleged defendant violated their Fourth Amendment rights by submitting a false affidavit causing their arrest, the district court permitted plaintiffs action to proceed on both a Bivens claim and a Section 1983 claim; remanded with directions to dismiss plaintiffs' Bivens action and to determine whether their cases can proceed on the Section 1983 claim. See Farah v. Weyker, 926 F.3d 492 (8th Cir. 2019). Judge Kelly dissenting.
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