Bussey v. Driscoll, No. 23-35588 (9th Cir. 2025)
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Ryan Bussey, a former Army soldier, received a Bad Conduct Discharge (BCD) after being found guilty of wrongful sexual contact. He sought to upgrade his discharge to Honorable, arguing that his combat-induced Post-Traumatic Stress Disorder (PTSD) contributed to his conduct. The Army Board for Correction of Military Records acknowledged Bussey's PTSD but concluded it was not a mitigating factor for his crime of conviction.
The United States District Court for the District of Idaho granted summary judgment in favor of the Secretary of the Army, upholding the Board's decision. Bussey appealed this decision, seeking review under the Administrative Procedure Act.
The United States Court of Appeals for the Ninth Circuit reviewed the case and found that the Board erred in its decision. The court held that the Board failed to consider all the circumstances resulting in Bussey's discharge, focusing too narrowly on whether PTSD caused the legal elements of the crime. The court emphasized that the Board should have analyzed whether PTSD potentially contributed to the facts, events, and conditions leading to Bussey's wrongful sexual contact.
Additionally, the court found that the Board did not give liberal consideration to Bussey's PTSD-based claim, as required by 10 U.S.C. § 1552(h)(2)(B). The court vacated the district court's judgment and remanded the case to the Board to reconsider Bussey's upgrade request under the appropriate standard, instructing the Board to resolve doubts and inferences in favor of Bussey. If the Board finds that PTSD contributed to the circumstances resulting in Bussey's discharge, it may grant the requested relief.
Court Description: Correction of Military Records On Ryan Bussey’s appeal from the district court’s summary judgment against him in his action under the Administrative Procedure Act seeking review of the Army Board for Correction of Military Records’ denial of his petition to upgrade his military discharge status from Bad Conduct Discharge to Honorable Discharge, the panel vacated the district court’s summary judgment for the Secretary of the United States Army and remanded for the Board to reconsider the petition.
Bussey received a Bad Conduct Discharge for being found guilty of wrongful sexual conduct. He sought to upgrade his discharge on the ground that combat-induced Post-Traumatic Stress Disorder (“PTSD”) contributed to his conduct. In denying the petition, the Board agreed that Bussey had PTSD, but concluded that it was not a mitigating factor for the crime of conviction.
When a request for a correction is based on combat-induced PTSD, Congress has instructed the Board to review discharge upgrade requests with liberal consideration to the claimant that PTSD potentially contributed to the circumstances resulting in the discharge.
The panel held that the Board erred in not considering all the circumstances resulting in Bussey’s discharge, instead focusing narrowly on whether PTSD caused the legal elements of the crime of conviction. Relatedly, it failed to give liberal consideration to Bussey’s PTSD-based claim. The Board should have analyzed under a lenient evidentiary standard whether PTSD potentially contributed to the facts, events, and conditions that led to Bussey engaging in the non-consensual sexual activity.
The panel vacated the district court’s judgment and remanded this case to the Board to reconsider Bussey’s upgrade request under the appropriate standard. The panel instructed that on remand, after resolving all such doubts and inferences in favor of Bussey, if the Board finds that PTSD contributed to the circumstances resulting in Bussey’s discharge, even if PTSD did not cause him to commit the crime, the liberal consideration standard allows the Board to grant the requested relief.
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