ROSHAN V. MCCAULEY, No. 24-659 (9th Cir. 2025)
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Peyman Roshan, a lawyer and real estate broker, had his law license suspended by the California Supreme Court in 2021 for misconduct. Following this, the California Department of Real Estate (DRE) initiated a reciprocal disciplinary proceeding against his real estate license. Roshan filed a federal lawsuit against the DRE, alleging constitutional violations and seeking to enjoin the DRE's disciplinary action.
The United States District Court for the Northern District of California dismissed Roshan's lawsuit, citing the Younger abstention doctrine, which prevents federal courts from interfering with certain ongoing state proceedings. The district court held that the DRE's disciplinary proceeding was quasi-criminal in nature and that Roshan could raise his federal claims during the judicial review of the DRE action.
The United States Court of Appeals for the Ninth Circuit reviewed the case and affirmed the district court's dismissal. The Ninth Circuit held that the district court correctly applied the Younger abstention doctrine. The court noted that the state proceedings were ongoing, involved important state interests, and allowed Roshan to raise his federal claims. The court also determined that the DRE proceeding was quasi-criminal because it was initiated by a state agency following an investigation, involved formal charges, and aimed to determine whether Roshan should be sanctioned by suspending or revoking his real estate license.
The Ninth Circuit concluded that all the requirements for Younger abstention were met and that Roshan had not demonstrated any bad faith, harassment, or extraordinary circumstances that would make abstention inappropriate. Therefore, the district court's decision to abstain from hearing the case was proper, and the dismissal of Roshan's lawsuit was affirmed.
Court Description: Younger abstention The panel affirmed the district court’s dismissal of Peyman Roshan’s federal lawsuit seeking to enjoin the California Department of Real Estate (“DRE”) disciplinary proceeding against him.
After the California Supreme Court suspended Roshan’s law license for misconduct, the DRE initiated a reciprocal disciplinary proceeding against Roshan’s real estate license. Roshan sued the DRE in federal court for alleged constitutional violations. Citing Younger v. Harris, 401 U.S.
37 (1971), the district dismissed the lawsuit and held that it must abstain from hearing the matter in favor of the pending state DRE disciplinary proceeding. The panel held that the district court correctly dismissed Roshan’s case under the Younger abstention doctrine. Applying the Younger requirements, the panel noted that Roshan did not contest that the state proceedings were ongoing and implicated important state interests. This court’s precedents foreclosed his argument that the state proceedings were inadequate because he could raise his federal claims in judicial review of the DRE action. Finally, the DRE proceeding was quasi-criminal given that (1) DRE initiated the action after conducting an investigation, (2) DRE filed an “accusation” against Rohan that was akin to a complaint; and (3) the proceeding’s purpose was to determine whether Roshan should be sanctioned—via the suspension or revocation of his real estate license. Because the Younger requirements were satisfied and Roshan has not made a showing of bad faith, harassment, or some other extraordinary circumstance that would make abstention inappropriate, the district court properly abstained.
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