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Justia Daily Opinion Summaries

Supreme Court of Nevada
December 29, 2020

Table of Contents

Clark County School District v. Bryan

Civil Rights, Education Law

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Legal Analysis and Commentary

Another Strike Against § 230 of the Communications Decency Act: Courts Allowing § 230 to Trump Federal and State Public Accommodations Protections

SAMUEL ESTREICHER, SAMANTHA ZIPPER

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NYU law professor Samuel Estreicher and 2L Samantha Zipper describe how several courts have invoked Section 230 of the Communications Decency Act as a basis for limiting rights against discrimination in public accommodations. Estreicher and Zipper argue that as American society moves increasingly online, § 230 must be read more narrowly, with goals of safeguarding individual civil rights in an already prolific internet sector.

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Supreme Court of Nevada Opinions

Clark County School District v. Bryan

Citation: 136 Nev. Adv. Op. No. 82

Opinion Date: December 24, 2020

Judge: Silver

Areas of Law: Civil Rights, Education Law

The Supreme Court reversed the judgment of the district court in favor of Plaintiffs on their Title IX and 42 U.S.C. 1983 claims against a school district for student-on-student harassment and remanded for further findings on the Title IX claim, holding that the district court erred by concluding that Plaintiffs established each of the elements on the section 1983 claim. Plaintiffs, two students and their parents, brought these claims for harassment after two sixth-graders targeted the students with sexual slurs, other insults, and physical assaults. After a bench trial, the district court found for Plaintiffs on both their Title IX and section 1983 claims. The Supreme Court reversed, holding (1) Title IX's protections against sex-based discrimination extend to prohibit discrimination against homosexual and transgender individuals and discrimination based on perceived sexual orientation; (2) the district court properly found that the harassment in this case was "on the basis of sex for purposes of Title IX; (3) remand was required for further findings on the Title IX claim; and (4) the district court erred in relying solely on the violation of state law to satisfy "deliberate indifference," an essential element of both the Title IX and section 1983 claims.

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