Justia Louisiana Supreme Court Opinion Summaries

Articles Posted in Education Law
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In a declaratory judgment action before the Supreme Court, the issue for review concerned the validity of two legislative instruments enacted during the 2012 Regular Session of the Louisiana Legislature, Senate Concurrent Resolution No. 99 (SCR 99) and 2012 La. Acts 2 (Act 2 or "Act"), each of which addressed funding and a mechanism for the state to pay for the tuition costs of elementary and secondary school students physically attending, or otherwise undertaking individual course work, from nonpublic schools. SCR 99 and Act 2 were challenged on constitutional grounds, the underlying argument was that those legislative instruments diverted funds constitutionally reserved for public schools. Upon review of the record, the instruments themselves and the constitutional provisions at issue, the Supreme Court agreed with the district court that once funds are dedicated to the state’s Minimum Foundation Program for public education, the constitution prohibits those funds from being expended on the tuition costs of nonpublic schools and nonpublic entities. Unlike the district court, the Supreme Court found the procedures employed to enact SCR 99 violated the constitution inasmuch as that legislative instrument was intended to have the effect of law, but several requirements for enacting law were not observed. Furthermore, after severing the unconstitutional provisions of Act 2, the Court held that Act 2 did not violate the constitution's "one-object" rule. View "Louisiana Federation of Teachers v. Louisiana" on Justia Law

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During its 2010 Regular Session, the Louisiana Legislature enacted Act 749 (Act), comprising La. Rev. Stat. 17:4041 through 17:4049, known as the "Red Tape Reduction and Local Empowerment Waiver Program." The Act authorized the Board of Secondary and Elementary Education ("BESE") to grant waivers exempting school districts and individual schools from complying with a number of statutes provided for in Title 17, the Education Code. Under the Act, a waiver could not be presented to BESE "unless a majority of the classroom teachers employed in the school, voting by secret ballot, vote in favor of inclusion of such school in the waiver request." At this point, no waiver had been granted under the Act, or even requested. The Louisiana Federation of Teachers and others (collectively "LFT") filed a petition for declaratory judgment against the State of Louisiana and BESE, seeking a judgment declaring Act 749 unconstitutional. In particular, LFT sought to enjoin Defendants from applying and enforcing La. Rev. Stat. 17:4041(7). Upon review of the facts in record, the Supreme Court concluded that the constitutional challenge presented in this case was premature and presented no justiciable controversy. Therefore the Court reversed the ruling of the trial court which held Act 749 unconstitutional. View "Louisiana Federation of Teachers v. Louisiana" on Justia Law

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The Supreme Court granted a writ application to determine whether a school board had tort liability for expelling a high school student after a fifth-sized bottle of whiskey fell from the student's backpack and broke on the classroom floor. The student claimed he was denied due process in the disciplinary proceedings that resulted in his expulsion. The district court agreed and awarded the student $50,000. Upon review of the trial court record, the Supreme Court found that the student presented no evidence whatsoever of being denied due process at the school board hearing. Finding the student failed to carry his burden of proof to show a denial of due process by the school board, the Court reversed the judgment of the district court. View "Christy v. McCalla" on Justia Law