This amicus brief was written to request a ruling by the Supreme Court of Utah after a lower court found that the First Amendment immunizes religious institutions from liability for tortious claims arising from a religiously-motivated sexual assault investigation. CHILD USA examined the ways in...
GALLAGHER v. DIOCESE OF PALM BEACH, INC.
This amicus brief was written to request a United States Supreme Court ruling after a lawsuit initiated by a priest for defamation against a Catholic diocese was dismissed based on the ecclesiastical abstention doctrine. Issues include whether the Florida case should be resolved according to...
Remarks by Prof. Marci Hamilton on the Passage of the New York Child Victims Act
State Capitol, Albany, New York It is wonderful to be here on this historic day. Over 15 years ago, I made my first trip to Albany to discuss what would become the Child Victims Act with Assemblywoman Marge Markey. Every year since then, I returned, often more than once. Why? Because it was the...
MORROW v. FORD
This amicus brief was written to support Petitioner’s writ of habeas corpus following a murder conviction and death sentence, claiming ineffective assistance of counsel where trial counsel did not conduct an investigation into the Petitioner’s childhood. Issue includes whether child sexual abuse...
MONTANA v. TIPTON
This amicus brief was written in support of a Petition for Writ of Certioari where the Supreme Court of Montana concluded that the DNA provision was constitutional, but that it did not allow for the revival of previously expired claims. Issues include whether Montana’s law permits revival of...
IN RE: FORTIETH STATEWIDE INVESTIGATING GRAND JURY
This amicus brief was written in response to Defendant dioceses subjected to a grand jury investigation and its argument that private attorneys who have knowledge of the Pennsylvania Grand Jury Report must keep all information confidential. Issues include whether the Pennsylvania Full Grand Jury...
IN RE JOHN DOE
This amicus letter was written to support a Petition for Writ of Mandamus where a Plaintiff’s lawsuit was barred based on the ecclesiastical abstention doctrine. Includes issue of whether a private school with a religious sounding name and/or loose religious affiliation can rely on the religious...
M.A. v. THE HONORABLE JOSE PADILLA, ET. AL.
This amicus brief was written in response to Defendant’s claim that preventing him from cross-examining a child plaintiff violated his rights under the Confrontation Clause. Includes issue of whether a pro se child abuser has a rigid right to direct examination of his child victim. The final...
SLINEY v. PREVITE
This amicus brief was written in response to Defendant’s challenge of the retroactivity of Mass. Ge. Laws. ch. 260 §§ 4C & 4C 1/2, which extended the statute of limitations of civil claims for child sex abuse to 35 years. Issues include whether Mass. Gen. Laws. ch. 260, §§ 4C & 4C 1/2...






