Planned Parenthood of Greater Ohio v. Himes

Enacted in 2016, Ohio Revised Code 3701.034 requires the Ohio Department of Health (ODH) to ensure that all funds it receives through six non-abortion-related federal health programs are not used to contract with any entity that performs or promotes nontherapeutic abortions, or becomes or continues to be an affiliate of any entity that performs or promotes nontherapeutic abortions. Plaintiffs sought declaratory and injunctive relief under 42 U.S.C. 1983. The Sixth Circuit affirmed the entry of a permanent injunction, first rejecting a challenge to Plaintiffs’ standing to assert due process claims. The district court properly applied the “unconstitutional conditions” doctrine, which is not limited to First Amendment rights. Although the government has no obligation to subsidize constitutionally protected activity, it may not use its control over funds to curtail the exercise of constitutionally protected rights outside the scope of a government-funded program. Section 3701.034 imposes conditions; does not distinguish between the grantee and the project; does not permit the grantee to keep abortion-related speech and activities separate from governmental programs; does not leave the grantee unfettered in its other activities; and does not permit the grantee to continue to perform abortion and provide abortion-related services through programs that are independent from projects that receive the funds. While finding the “undue-burden analysis” employed in some courts “questionable,” the court concluded that section 3701.034 is unnecessary to advance the interests ODH asserts. View "Planned Parenthood of Greater Ohio v. Himes" on Justia Law