{"id":50347,"date":"2016-09-30T11:27:00","date_gmt":"2016-09-30T16:27:00","guid":{"rendered":"https:\/\/content.findlaw-admin.com\/ability-legal\/supreme\/legal-commentary\/are-hate-crimes-the-same-thing-as-thought-crimes-opponents-of-the-federal-hate-crime-bill-invoke-free-speech.html"},"modified":"2016-09-30T11:27:00","modified_gmt":"2016-09-30T16:27:00","slug":"are-hate-crimes-the-same-thing-as-thought-crimes-opponents-of-the-federal-hate-crime-bill-invoke-free-speech","status":"publish","type":"supreme","link":"https:\/\/supreme.findlaw.com\/legal-commentary\/are-hate-crimes-the-same-thing-as-thought-crimes-opponents-of-the-federal-hate-crime-bill-invoke-free-speech.html","title":{"rendered":"Are &#8220;Hate Crimes&#8221; the Same Thing as &#8220;Thought Crimes&#8221;?: Opponents of the Federal Hate Crime Bill Invoke Free Speech"},"content":{"rendered":"\n<div class=\"wp-container-core-columns-is-layout-9d6595d7  fl-block-columns fl-sectionWithSidebar fl-container fl-flex fl-flex-wrap fl-gap30\">\n    \n    <div class=\"fl-page-articles   fl-block-column fl-section-main fl-section-main-full-width\">\n        <div class=\"yui-g\" id=\"leftcol-module\">\n      <!-- Right Line of Links Section -->\n      <!-- BEGIN PICTURE INSERTION -->\n      <!-- BEGIN TITLE AND AUTHOR INSERTION -->\n      <table>\n        <tr>\n\n          <td width=\"100\" rowspan=\"3\" class=\"wauthor\"><a href=\"\/legal-commentary\/sherry-colb-archive\"><img decoding=\"async\" src=\"https://supreme.findlaw.com/static/f/images\/writ\/sherry.colb.jpg\" border=\"0\" alt=\"Sherry F. Colb\"><\/a><\/td>\n\n          <td class=\"wititle\"><h1>Are &#8220;Hate Crimes&#8221; the Same Thing as &#8220;Thought Crimes&#8221;?: Opponents of the Federal Hate Crime Bill Invoke Free Speech<\/h1><\/td>\n        <\/tr>\n\n        <tr>\n          <td class=\"wauthor\"><a href=\"\/legal-commentary\/sherry-colb-archive\" class=\"graybold\"><h2>By SHERRY F. COLB <\/h2><br><\/a><\/td>\n        <\/tr>\n        <tr>\n          <td class=\"widate\">Wednesday, October 28, 2009<\/td>\n\n        <\/tr>\n      <\/table>\n\n<p>Today,  President Obama is scheduled to sign the Matthew Shepard Hate Crimes bill,  which will expand the scope of the federal hate crime law to include  that committed on the basis of gender, sexual orientation, gender identity, or  disability. <\/p>\n<p>Some Republican critics have argued that the hate crime law  singles out evil &#8220;thoughts&#8221; for special punishment and therefore targets  &#8220;thought crimes,&#8221; the sort of offense that would be anathema to a people that  values the freedoms of speech and thought. <\/p>\n<p>In this column, I examine the argument that hate crime laws  punish thought crimes, and situate the contention in the context of criminal  law and anti-discrimination law more generally.  Ultimately, I conclude that the argument is flawed and that upon close  examination, a prohibition on hate crimes does not amount to a thought crime  statute.<\/p>\n<!-- 300x250 AD -->\n    \n  <p><strong>What is a Hate Crime  Law?<\/strong><\/p>\n  <p>Though the phrase is somewhat vague, references to &#8220;hate  crime&#8221; laws generally encompass criminal statutes that identify what would  already be criminal conduct and treat that conduct as worse (by federalizing  the offense, for example, or by enhancing its penalty) because of its  connection to invidious discrimination on the basis of such qualities as race,  sex, national origin, or religion. <\/p>\n  <p>To give a simple example, a hate crime law might take a  garden-variety assault and battery prosecution and allow for harsher penalties  if the perpetrators chose to attack the victim because of his race.<\/p>\n  <p><strong>The  Supreme Court Strikes Down One Type of Hate Crime Law<\/strong><\/p>\n  <p>In 1992, in <em><a href=\"https:\/\/caselaw.findlaw.com\/court\/us-supreme-court\/505\/377.html\" rel=\"noopener\">R.A.V.  v. City of St. Paul<\/a><\/em>, the Supreme Court invalidated a bias-motivated  crime ordinance on First Amendment grounds. The act alleged in the particular  case was the burning of a cross on a black family&#8217;s lawn. The law in question  had prohibited &#8220;the display of a symbol which one knows or has reason to know  \u2018arouses anger, alarm or resentment in others on the basis of race, color,  creed, religion or gender.'&#8221; <\/p>\n  <p>The state court interpreted the ordinance to reach only  &#8220;fighting words,&#8221; a category of speech that the U.S. Supreme Court had  previously held was unprotected by the First Amendment. (The Court had defined fighting words as &#8220;those that by their very utterance inflict injury or tend to incite an  immediate <a href=\"http:\/\/en.wikipedia.org\/wiki\/Breach_of_the_peace\" rel=\"noopener\">breach of the peace<\/a>.&#8221;) <\/p>\n  <p>Importantly, in striking down the law, the Supreme Court did  not hold that cross-burning is protected speech under the First Amendment. What it held, instead, was that the ordinance  under which R.A.V. was charged impermissibly singled out those &#8220;fighting words&#8221;  that expressed discriminatory messages about forbidden topics, a form of  content and viewpoint discrimination that the Court concluded violated the  First Amendment. <\/p>\n  <p>Even though fighting words (and, of course, acts of burning  things on other people&#8217;s property) are not protected speech, the Court said, it  is nonetheless unlawful for the government to draw distinctions between  different kinds of fighting words on the basis of their content or viewpoint. To do so constitutes illegal censorship,  because the law focuses on the communicative element of the conduct. <\/p>\n  <p><strong>The Court Provides More Guidance on  Hate Crime Laws, After <em>R.A.V.<\/em> <\/strong><\/p>\n  <p>After <em>R.A.V.<\/em>,  then, one could not prohibit some fighting words but not other fighting words,  if the basis for the distinction was the disapproved content or viewpoint  expressed by those words. <\/p>\n  <p><em>R.A.V.<\/em> left  lawyers and scholars unsure about the scope of the Court&#8217;s ruling \u2013 would all  hate-crime legislation now fail First Amendment challenges, because it singled  out crime on the basis of expression? <\/p>\n  <p>Then, one year later, the Court decided <em><a href=\"https:\/\/caselaw.findlaw.com\/court\/us-supreme-court\/508\/476.html\" rel=\"noopener\">Wisconsin  v. Mitchell<\/a><\/em>. In <em>Mitchell<\/em>, the defendant participated in  an aggravated assault by a group of black men and boys on a white boy, chosen  as a victim because of his race. The  attack left the victim unconscious, and he slipped into a coma. Wisconsin law provided that if a perpetrator,  in committing a crime, selected his victim on the basis of her race, religion,  color, disability, sexual orientation, national origin or ancestry, then he  would be eligible for enhanced &#8220;hate crime&#8221; penalties.<\/p>\n  <p>The Justices unanimously upheld the statute in <em>Mitchell<\/em>, ruling that the government may  single out criminal conduct on the basis of the actor&#8217;s motivation for that  conduct and punish acts that stem from that motivation more severely than  otherwise identical acts. We see  instances of such enhancements, for example, in capital sentencing schemes that  identify a financial motive for murder as an aggravating factor that juries can  take into account in deciding whether to impose the death penalty.<\/p>\n  <p><strong>What&#8217;s the  Distinction? The Difference Between the <\/strong><strong><em>R.A.V.<\/em> and <\/strong><strong><em>Mitchell <\/em>Statutes<\/strong><\/p>\n  <p>At first glance, it might seem arbitrary and purely semantic  to distinguish between the statutes at issue in <em>R.A.V.<\/em> and in <em>Mitchell<\/em>,  respectively. In both cases, after all,  the law authorized punishment (or more severe punishment) for committing a  crime because that crime was connected with race, sex or another prohibited  category. Is it not superficial to hold  that expressing invidious hatred is protected by the First Amendment, but being  motivated by invidious hatred is not?<\/p>\n  <p>The distinction makes sense, however, once we examine it  more closely. One confusing aspect of  the problem is that many hate crimes do both things addressed by the First  Amendment cases \u2013 they <u>communicate<\/u> racial hatred (as does, for example,  the act of burning a cross on a family&#8217;s lawn), and they also reflect a <u>motive<\/u> of racial hatred (because the reason the perpetrators selected the victim  family was its members&#8217; race).  Notwithstanding the overlap, however, it is possible to distinguish  between these two features of such acts and, accordingly, to distinguish  between the laws that target each feature.<\/p>\n  <p><strong>Crimes Expressing Hate, Versus Crimes  Reflecting Hate<\/strong><\/p>\n  <p>To the extent that an act is penalized because it <u>expresses<\/u> or <u>communicates<\/u> hatred, its regulation implicates the First  Amendment. To give one example, the law  might prohibit you from committing arson, but it may not prohibit you from  committing only that subset of arson that shows contempt for the American  flag. <br>\n   <br>\n    Of course, when racial hatred is involved, many people  (including some Supreme Court Justices) would find that a narrow and  well-defined law condemning the communication of racial hatred through  threatening action (like cross-burning), if properly tailored, would survive  First Amendment scrutiny. The majority&#8217;s  ruling in <em>R.A.V.<\/em>, however, was that a  state law may not single out active expressions of racial hatred for special  punishment, any more than it could single out expressions of opposition to the  country or its policies (through flag burning) for special punishment. <\/p>\n  <p>Given that legal principle, the question is how the special  punishment of racially <u>motivated<\/u> crime is in any way different from the  special punishment of expressions of racial hatred. Doesn&#8217;t illicit motivation come from the  brain and therefore represent a thought crime?  If anything, isn&#8217;t it worse to punish a person for the thoughts  motivating her actions, than it is to punish her for the expressive content of  her actions? The latter at least  inflicts a concrete injury with its message; the former is completely internal,  is it not?<\/p>\n  <p>The reason to answer this question &#8220;no&#8221; is both logical and  practical. From a logical point of view,  there is an important distinction between thoughts (e.g., &#8220;I dislike that  group&#8221;) and motives for actions (e.g., the hatred of a group, which drives the  killing of a member of &#8220;that group&#8221;).  Motivation is inextricably linked to action, in a way that thought alone  is not. <\/p>\n  <p><strong>Hypothetical Cases Show the Difference  Between Thought Alone and Thought as Motivation for Action<\/strong><\/p>\n  <p>To take one example, consider a person who attacks a  Catholic man and <u>also<\/u> hates Catholic men, but who selects his victim for  non-religious reasons, such as the latter&#8217;s cutting him off in traffic. Such a perpetrator will not (and may not) be  punished for his hatred of Catholic men (To punish him for that <u>would<\/u> represent the prosecution of &#8220;thought crime.&#8221;)  Now consider another person, who attacks a Catholic man <u>because<\/u> he is Catholic. The latter person is  actually doing something quite different from the former \u2013 and many would say  that he is doing (and not just thinking) something worse. <\/p>\n  <p>Consider, now, a third person, who robs a drug store to get  life-saving medicine for his children.  We might view such an act, though illegal, to be morally distinct from  that of a fourth person who robs the same drug store because he wants to cook  methamphetamines for a weekend party. We  might even excuse the third person as having acted under a kind of duress,  because of the nature of his motivation.  And in the death penalty area, we view some motivations (such as  financial ones) as permissible aggravating factors that can mean the difference  between a sentence of death and one of life imprisonment.<\/p>\n  <p>The reason for a perpetrator&#8217;s actions can therefore matter  a great deal in assessing the depravity of those actions, regardless of whether  or not the perpetrator wishes to send a message with what he does. To state this differently, the aspect of  conduct that permissible hate crime legislation targets is not the expression  of ideas but the driving motivation behind the crime, because some motivations  are rightly considered more culpable than others.<\/p>\n  <p><strong>Anti-discrimination  Law Similarly Focuses on Particular Motivations for Action<\/strong><\/p>\n  <p>To put these arguments into a familiar context, consider  anti-discrimination law. A law that  prohibits an employer from firing an employee on the basis of that employee&#8217;s  race is singling out one kind of reason for acting (race-based motivation) and  differentially penalizing actions taken for that reason, by permitting the  terminated employee to sue the employer for employment discrimination. When anti-discrimination law does not apply,  by contrast, an employer may generally fire people &#8220;at will,&#8221; for any reason or  for no reason at all. <\/p>\n  <p>This provides an interesting contrast with hate crime  sentencing enhancements, which operate on conduct that is already  criminal. By comparison,  anti-discrimination law takes conduct that is otherwise entirely legal (firing  an employee within an at-will employment arrangement) and designates that  conduct as illegal precisely because of its motivation. The only difference between what is legal and  what is illegal, in other words, is the motivation \u2013 what opponents of hate crime  legislation characterize as merely the thought in the actor&#8217;s mind.<\/p>\n  <p>Yet opponents of the recent hate-crime bill have not raised  this issue with respect to anti-discrimination law. Quite to the contrary, they have in general  been the same people who consistently oppose affirmative action on the ground  that it unfairly discriminates against white men. <\/p>\n  <p>This means that when an employer or academic institution  fails, respectively, to hire or admit a white male applicant because he is not  a minority group member or a woman, some of the same people (typically,  Republicans) who oppose the hate crime law believe an injustice has occurred  and are prepared to litigate, under either constitutional or statutory  anti-discrimination principles, to hold the employer or school accountable for  its improperly motivated behavior. In  other words, they are happy to look at motivation \u2013 and to punish it \u2013 in a  racially-motivated decision not to hire a white man, but they refuse to look at  motivation \u2013 and to punish it \u2013 in a sexual-orientation-motivated decision to  attack, say, a gay man. <\/p>\n  <p><strong>Why Would Those Who  Happily Look to Motivation in the &#8220;Reverse Discrimination&#8221; Context Oppose the Hate Crimes Bill?<\/strong><\/p>\n  <p>It appears, then, that those who assert that the hate crime  bill represents a prohibition on &#8220;thought crime&#8221; either do not understand or do  not truly believe what they are saying.  In other contexts, they are comfortable and even enthusiastic about  condemning the behavior of actors whose reasons and motivations offend  them. And this is true even in areas in  which, absent the relevant motivation, the conduct would \u2013 unlike in the hate  crime context \u2013 be perfectly legal (such as the area of at-will  employment). <\/p>\n  <p>If opponents are not truly of the view that hate crimes are  &#8220;thought crimes,&#8221; however, what explains the opposition?<\/p>\n  <p>As with any attempt to identify motive, my efforts to  explain conservative opposition to the hate crime bill&#8217;s expansion may turn out  to be mistaken. My hypothesis, however,  is that those who dislike gay people (one of the groups whose status was added  in the hate crime bill amendment, under &#8220;sexual orientation&#8221;) might not like  the idea of singling out crimes committed on the basis of the victim&#8217;s  perceived homosexuality for more severe punishment. Such opponents might, in fact, view an action  that is taken out of animus toward gay people to be understandable and <u>less<\/u> worthy of condemnation than other similar crimes.<\/p>\n  <p>What basis do I have for making such an accusation? One answer is that the stated rationale  (&#8220;thought crimes&#8221;) for opposing the legislation is so weak and unpersuasive, as  I explained above, that it is very hard to believe that those who mouth it  truly find it convincing. And when  people falsely identify their reasons for doing something, it is likely that  the real reasons are less savory and harder to defend. <\/p>\n  <p>An  unspoken animus toward gay people is the most obvious alternative account of  the opposition to including gay, lesbian, bisexual, and transgender people  among the groups protected by existing hate crime legislation. And it is also consistent with the religious  right&#8217;s campaign against those who violate traditional ideas about family  values (including heterosexual, married, and patriarchal norms).<\/p>\n  \n  <p>If I am right in my hypothesis about what has motivated many  conservatives&#8217; opposition to the hate crime bill, then it is fair to say that  by their actions, they are essentially condoning prejudice-motivated crimes  against gay men, lesbians, and transgender persons. Such persons (along with disabled individuals  and women) are especially vulnerable to hate crimes, because of the prejudice  they continue to face. When government  officials \u2013 including legislators \u2013 oppose the protection of such individuals,  without offering a plausible account of the basis for their opposition, they  effectively express the view, in their official capacities, that hatred of such  vulnerable persons is not an especially bad reason for committing a crime,  perhaps even a good reason. Such an  approach should be anathema in a nation committed to equal treatment of its  people.<\/p>\n  <hr size=\"1\">\n  <p class=\"authorfoot\">\n<a name=\"bio\"><\/a>Sherry F. Colb, a FindLaw columnist, is Professor  of Law and Charles Evans Hughes Scholar at Cornell Law   School. Her book, <i>When Sex Counts:  Making Babies and Making Law<\/i>, is available on Amazon.<\/p>\n\n\n\n\n\n <\/div>\n<div class=\"was-this-helpful\">\n    <div\n            class=\"was-this-helpful__question-container\"\n            aria-labelledby=\"was-this-helpful__question\"\n            role=\"group\"\n    >\n        <span\n                id=\"was-this-helpful__question\"\n                class=\"was-this-helpful__question fl-text-lg-bold\"\n        >Was this helpful?<\/span>\n        <button\n                class=\"was-this-helpful__button fl-text-sm\"\n                aria-label=\"Yes\"\n                value=\"yes\"\n        >\n            <span class=\"was-this-helpful__button-text fl-text-bold\">Yes<\/span>\n            <i class=\"was-this-helpful__button-icon\">\n                <svg width=\"22\" height=\"22\" viewBox=\"0 0 22 22\" fill=\"none\" xmlns=\"http:\/\/www.w3.org\/2000\/svg\">\n                    <g id=\"thumbs-up\" clip-path=\"url(#clip0_604_3418)\">\n           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