Rayborn v. Bossier Parish School Board

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The Fifth Circuit affirmed the district court's grant of summary judgment against plaintiff on her claims of retaliation under Louisiana state law and the First Amendment, deprivation of her liberty and reputational interests under the Fourteenth Amendment, and intentional infliction of emotional distress. The court held that plaintiff did not show that she was subjected to an adverse employment action and her claim under state law failed; plaintiff's claims of municipal liability failed because plaintiff did not identify any official school board policy or custom in accordance with which the allegedly unconstitutional conduct occurred; plaintiff's claims against school officials in their individual capacities failed based on their claims of qualified immunity; plaintiff's Fourteenth Amendment liberty and reputational interests claims failed because the school district never discharged plaintiff; and plaintiff's claim of intentional infliction of emotional distress failed because plaintiff did not demonstrate that any of the defendants' conduct was extreme and outrageous or more than a reasonable person could be expected to endure. View "Rayborn v. Bossier Parish School Board" on Justia Law