United States v. Bundy, No. 18-10287 (9th Cir. 2020)
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Defendant, two of his sons, and sixteen other persons were charged in an indictment with obstructing federal law enforcement officials carrying out lawful court orders. In this case, defendant and hundreds of armed supporters forced federal officials to abandon the BLM's impoundment plan of defendant's cattle for a failure to pay federal grazing fees.
The Ninth Circuit affirmed the district court's dismissal with prejudice of the indictment based on violations of Brady v. Maryland, 373 U.S. 83 (1963). The panel held that a district court is imbued with discretion in the supervision of proceedings before it and may dismiss an action when, in its judgment, "the defendant suffers substantial prejudice and where no lesser remedial action is available." The panel held that the withheld evidence -- the surveillance-camera evidence, the FBI 302s Regarding Snipers, the TOC Log, and the Threat Assessments -- substantially prejudiced the defense; the district court's findings of substantial prejudice and flagrant misconduct in relevant part were not clear error; and the district court did not abuse its discretion in dismissing with prejudice.
Court Description: Criminal Law. The panel affirmed the district court’s judgment dismissing with prejudice, due to violations of Brady v. Maryland, an indictment charging Cliven Bundy; two of his sons, Ryan and Ammon Bundy; and Ryan Payne with obstructing federal law enforcement officials carrying out lawful court orders. The indictment followed a well-publicized effort by the Bureau of Land Management to impound Cliven Bundy’s cattle for a twenty-year failure to pay federal grazing fees. Cliven Bundy and hundreds of armed supporters from around the United States forced federal officials to abandon the impoundment plan. Days into the defendants’ trial, the government began disclosing information in its possession that, under Brady, was arguably useful to the defense and should have been produced to the defendants well before trial. As additional documents came forth, the district court held a series of hearings, eventually deciding that the trial could not go forward and that the indictment must be dismissed with prejudice. Reviewing whether the district court properly dismissed the indictment under its supervisory powers, the panel considered the evidence cited by the district court to decide UNITED STATES V. BUNDY 3 whether substantial prejudice resulted from the Brady violations, whether flagrant misconduct occurred, and whether alternative remedies could have redressed the injury here. Central to the government’s case were allegations that the defendants intentionally lied about being surrounded by snipers as a ploy to gather armed supporters. Had the defendants been able to proffer a basis for genuinely believing that government snipers surrounded the Bundy Ranch, they potentially could have negated the government’s scienter theory. Surveying all of the withheld evidence – including surveillance-camera evidence, FBI “302” investigative reports regarding snipers, Tactical Operations Center (TOC) log records, and threat assessments – the panel held that the record amply supports the district court’s conclusion that the defendants suffered substantial prejudice in not being able to prepare their case fully, refine their voir dire strategy, and make stronger opening statements. Regarding the question of flagrant misconduct, the panel wrote that to the extent any government agencies or actors, through their own flagrant misconduct, failed to make known exculpatory information, the flagrant nature of such conduct will be imputed to the prosecution. The panel explained that flagrant misconduct need not be intentional; reckless disregard for the prosecution’s constitutional obligations is sufficient. Although it saw only negligence in the withholding of the TOC log records, the panel found no clear error in the district court’s conclusion that the withholding of the surveillance-camera evidence, the 302s, and the threat assessments crossed the threshold from negligence to recklessness. The panel observed that the prosecution withheld facially exculpatory evidence that directly negated 4 UNITED STATES V. BUNDY the government’s theory that the defendants lied about fearing snipers, and that the deliberate choices to withhold those documents were not cases of simple misjudgment. The panel wrote that although dismissal with prejudice requires a district court to find that “no lesser remedial action is available,” the panel understands by this phrase that a district court must conclude that no lesser remedy will fully address the damage caused by the government’s misconduct. The panel concluded that the district court, which thoroughly considered the prejudicial effects, did not abuse its discretion in dismissing the indictment with prejudice. The panel wrote that lesser sanctions would have given the government an opportunity to strengthen its case at the defendants’ expense, and noted the related need to impose a sanction that will serve to deter future prosecutions from engaging in the same misconduct as occurred here.
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