
The decision
to throw out Jose Padilla's suit threatens the core freedoms guaranteed to US
citizens by the constitution
An important
question confronting courts in the
The decision, which
throws out the civil suit of former enemy combatant Jose Padilla, is troubling,
both in its result and potential sweep. It not only threatens core freedoms
protected by the constitution, but also undermines the principle that government
officials should be held accountable for their illegal conduct.
Padilla was the
victim of one of the most extraordinary uses of military detention power after
the 9/11 attacks. In May 2002, Padilla was arrested by the FBI at
But rather than
charge Padilla with a crime under various anti-terrorism statutes, President
Bush declared him an "enemy combatant" and transferred Padilla to a navy brig in
In November 2005,
with the Supreme Court poised to decide whether to hear Padilla's legal
challenge, the Bush administration ended his military detention, indicting
Padilla on criminal charges and subsequently transferring him to a federal
prison. The transfer rendered Padilla's
challenge to his continued military detention moot, and the Supreme Court
declined to hear his case. The question remained, however, whether Padilla could
seek reparations for his brutal treatment during his years of military
confinement at the brig.
Seeking
reparations
Padilla accordingly
commenced suit against former Defence Secretary Donald Rumsfeld and other senior
officials responsible for his detention and treatment as an enemy combatant. The
complaint, which sought only nominal damages, was not about money, but a
principle: In the United States, no person is above the law and even a state of
war is not a "blank cheque" when it comes to the rights of US citizens.
In dismissing
Padilla's suit at the pleading stage, before the defendants were even required
to answer the complaint, the appeals court necessarily assumed the truth of
Padilla's allegations. The dismissal instead rested on the more sweeping
proposition that Padilla had no right to pursue any claims in federal court, no
matter how brutally he was treated.
The dispute in
Padilla's case centred mainly on interpretation of a 1971 case, Bivens v Six
Unknown Named Agents, in which the Supreme Court had established that
individuals could sue federal officials for violations of their constitutional
rights. (Bivens itself involved a warrantless search and arrest in violation of
the Fourth Amendment).
There is no question
that Padilla's prolonged incommunicado detention and gross mistreatment would
have qualified for relief under Bivens, had it occurred as part of a "normal"
law enforcement investigation - or had Padilla been a "regular" federal
prisoner. The government argued, however, that because Padilla was detained by
the military in the name of national security, his suit presented "special
factors counselling hesitation" by the courts, thus placing it within an
exception to Bivens liability. In this sensitive area, they argued, judges
should not allow litigation to proceed - no matter how egregious the
constitutional violation - unless Congress expressly provides for a remedy
(which Congress has not).
The appeals court
accepted the government's argument, concluding that allowing Padilla's suit to
proceed would infringe on the prerogatives of the political branches,
notwithstanding that Congress had clearly and categorically prohibited torture
and other forms of mistreatment. The appeals court also found that judges lacked
competence to adjudicate Padilla's claims, concluding that litigation would
enmesh them in assessing government decisions about the use of interrogation
methods and risk disclosure of classified
information and other sensitive intelligence.
Additionally, the
court dismissed Padilla's claims under the Religious Freedom Restoration Act
(RFRA). Padilla, a practicing Muslim, maintained that the government had
severely impeded his practice of Islam, including by denying him access to a
Quran, to facilitate interrogations and
deliberately confusing him about prayer times and the direction of
A national
security exception
The court's decision
effectively creates a national security exception to the general principle that
government officials may be held accountable for the torture and prolonged
arbitrary detention of US citizens. That exception is premised on a limited role for courts in enforcing constitutional protections
and an aversion to holding officials liable even for the most lawless conduct in
matters involving terrorism. The exception, moreover, has no limit: Under the
court's reasoning, the result would have
been the same if the government had waterboarded Padilla - or cut off the
tips of his fingers.
Perhaps, the most
cruel irony is that Padilla's military detention was made possible only because
the government invoked labels such as "national security" and "enemy combatant"
to circumvent established rules - above all, the requirement that individuals
arrested in the
Padilla, to be sure,
is not the most sympathetic plaintiff. Following his transfer to federal court
to face charges, he was convicted of providing material support to terrorism and
received a lengthy prison term. (Though it bears noting that the conviction was
not based on the "dirty bomb" allegations, but on vague assertions of peripheral
involvement in "jihad" during the 1990s).
The Fourth Circuit's
decision, however, did not turn on the fact that Padilla had been convicted of a
crime. It applies equally to any
The Fourth Circuit's
decision will not be the last word on the subject. Padilla can appeal the
decision to the full appeals court or to the Supreme Court, and his separate
suit against John Yoo, an architect of Bush-era torture policies, is still
pending before a federal appeals court in
The Fourth Circuit's
decision, nevertheless, represents a significant setback for the rule of law. It
demonstrates, above all, the corrosive effects of torture, which warps legal
institutions and values, ultimately co-opting courts themselves, as they become instruments of impunity.
SM