Andrade v. Hammond Board of Public Works, No. 20-1541 (7th Cir. 2021)
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Andrade owns a Hammond, Indiana apartment building. Hammond inspected and issued a notice that the building was unsafe. After a hearing, the Hammond Board of Public Works ruled in favor of Hammond. The Lake Superior Court reversed because Andrade did not have proper notice of the hearing. A year later, Hammond re-inspected and issued a new notice. The Board scheduled another hearing. Andrade received proper notice; he served the Chief of Inspection a subpoena requesting that he bring to the hearing all “regulations, ordinances, and/or statutes” that the Chief relied upon during the first hearing. Hammond did not comply with the subpoena. The Board ordered Andrade to remedy the unsafe conditions. The Lake Superior Court and the Indiana Court of Appeals affirmed; the Indiana Supreme Court and U.S. Supreme Court declined to review the case.
Andrade filed suit under 42 U.S.C. 1983 and 1985, alleging that the defendants violated and conspired to violate Andrade’s due-process rights by making “intentional false representations of opinion testimony” before the Board, “fail[ing] to comply with a lawfully-issued subpoena without justification,” and pursuing an “unannounced policy to deny subsidized residential units in more desirable neighborhoods.” The district court dismissed Andrade’s complaint, citing the Rooker-Feldman doctrine; appellate review of state-court judgments is reserved exclusively to the U.S. Supreme Court. The Seventh Circuit reversed. Andrade’s claims concern the defendants’ actions separate from any state-court judgment.
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