This motion was written as a response to the trial court’s inquiry about the precedent of trial courts to accept and consider amicus briefing at the trial level. In this case, Defendants challenge to the constitutionality of the revival provisions of RIGL § 9-1-51, which allow victims of child sex...
WALTER JACKSON “JAKE” HARVEY, JR. and CAROLE ALLYN HILL HARVEY, v. JOY CAROLINE HARVEY MERCHAN
CHILD USA wrote this amicus brief in response to Appellant’s challenge to the constitutionality of the Hidden Predator Act’s revival window provision, which allows victims of child sex abuse to bring civil claims, even when their claims have previously expired. CHILD USA argues that Georgia’s...
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...
ARK3DOE v. DIOCESE OF ROCKVILLE CENTRE ET AL. in Docket
This amicus brief was written as a response to Defendant diocese’s challenge to the constitutionality of the revival provisions of the Child Victims Act in New York. Issues include whether CPLR § 214-G is constitutional under the New York Constitution’s Due Process Clause. The NY Appellate Court...
S.T. v. DIOCESE OF ROCKVILLE CENTRE ET AL.
This amicus brief was written as a response to Defendant diocese’s challenge to the constitutionality of the revival provisions of the Child Victims Act in New York. Issues include whether CPLR § 214-G is constitutional under the United States Constitution and the New York Constitution. The NY...
SHEEHAN v. OBLATES OF ST. FRANCIS de SALES, ET. AL.
This amicus brief was written to support the constitutionality of the Child Victims Act, when it was constitutionality was challenged on appeal by a Catholic high school. Issues include whether Del. Code Ann. tit. 10, § 8145 is constitutional under the United States Constitution and whether Del....
DOUGLAS BIENVENU, ET AL. v. DEFENDANT 1 AND DEFENDANT 2
CHILD USA wrote this amicus brief in support Plaintiffs-Respondents and arguing that Louisiana's revival window for child sexual abuse claims--Act 322, as interpreted by Act 386--comports with due process under the Louisiana State Constitution. [pdf-embedder...
S.Y./W.F. V. ROMAN CATHOLIC DIOCESE OF PATERSON AND SALESIANS OF DON BOSCO a/k/a SALESIAN SOCIETY a/k/a SALESIANS DON BOSCO CANADA AND EASTERN USA
A series of amicus briefs were written in response to Defendants’ challenge to the constitutionality of the revival window provision of N.J. Stat. Ann. §§ 2A:14-2b, which allows victims of child sex abuse to bring civil claims, even when their claims have previously expired. CHILD USA argues that...
T.M. v. ORDER OF ST. BENEDICT OF NEW JERSEY INC, ET AL.
This amicus brief was written in response to Defendants’ challenge to the constitutionality of the revival provisions of N.J. Stat. Ann. §§ 2A:14-2a and 2b, which allow victims of child sex abuse to bring civil claims, even when their claims have previously expired. Issues include whether the...