{"id":54148,"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\/the-us-court-of-appeals-for-the-third-circuit-issues-an-encouraging-ruling-in-a-first-amendment-case-about-teen-sexting.html"},"modified":"2016-09-30T11:27:00","modified_gmt":"2016-09-30T16:27:00","slug":"the-us-court-of-appeals-for-the-third-circuit-issues-an-encouraging-ruling-in-a-first-amendment-case-about-teen-sexting","status":"publish","type":"supreme","link":"https:\/\/supreme.findlaw.com\/legal-commentary\/the-us-court-of-appeals-for-the-third-circuit-issues-an-encouraging-ruling-in-a-first-amendment-case-about-teen-sexting.html","title":{"rendered":"The U.S. Court Of Appeals for the Third Circuit Issues an Encouraging Ruling in a First Amendment Case About Teen &#8220;Sexting&#8221;"},"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\/julie-hilden-archive\"><img decoding=\"async\" src=\"https://supreme.findlaw.com/static/f/images\/writ\/julie.hilden.jpg\" border=\"0\" alt=\"Julie Hilden\"><\/a><\/td>\n\n          <td class=\"wititle\"><h1>The U.S. Court Of Appeals for the Third  Circuit Issues an Encouraging Ruling in a First Amendment Case About Teen &#8220;Sexting&#8221;<\/h1><\/td>\n        <\/tr>\n\n        <tr>\n          <td class=\"wauthor\"><a href=\"\/legal-commentary\/julie-hilden-archive\" class=\"graybold\"><h2>By JULIE HILDEN <\/h2><br><\/a><\/td>\n        <\/tr>\n        <tr>\n          <td class=\"widate\">Monday, March 29, 2010<\/td>\n        <\/tr>\n      <\/table>\n\n<p>On March 17, a three-judge panel of the U.S. Court of  Appeals for the Third Circuit <a href=\"https:\/\/caselaw.findlaw.com\/court\/us-3rd-circuit\/1519208.html\" rel=\"noopener\">delivered a win<\/a> &#8212; but a  narrow win &#8212; to teens who are determined to protect their First Amendment  rights, and parents who support them in doing so.<\/p>\n\n<p>The decision concerned &#8220;sexting&#8221; &#8212; which the plaintiffs  defined as &#8220;the practice of sending or posting sexually suggestive text  messages and images, including nude or semi-nude photographs, via cellular  telephones or over the Internet.&#8221;\u00a0 The  images at issue in the case, however, appear to have been &#8220;sexted&#8221; only over  cellphones, and the persons depicted were clothed or, in one case, semi-nude.\u00a0 <\/p>\n<!-- 300x250 AD -->\n<p>The case was sparked by a District Attorney&#8217;s threat to  prosecute teens who engage in &#8220;sexting&#8221; under state child pornography  laws.\u00a0\u00a0 More specifically, it focused on  the D.A.&#8217;s putting the teens to the choice of either facing the charges, or  taking a course on sexting and gender roles. <\/p>\n<p>In the future, other teens may not be put to this choice,  but simply may face charges, with no option of taking a course.\u00a0 Those cases, then, may be even more  disturbing than this one.\u00a0 As I argued in <a href=\"\/legal-commentary\/how-should-teens-sexting-the-sending-of-revealing-photos-be-regulated.html\">a prior column<\/a>, child pornography charges are a poor fit with  teen-to-teen sexting.\u00a0 So are  contributing-to-the-delinquency-of-a-minor laws &#8212; as I contended in <a href=\"\/legal-commentary\/why-sexting-should-not-be-prosecuted-as-contributing-to-the-delinquency-of-a-minor.html\">another  column<\/a>.\u00a0 Especially with First  Amendment rights at stake, applying longstanding laws that were drafted by  legislators who never imagined the impact of new technologies would be a grave  mistake. <\/p>\n<p>To be clear, I don&#8217;t mean to contend that sexting should  never have any legal consequences.\u00a0  Romeo-and-Juliet sexting by a teen couple is one thing; high-school  seniors victimizing and bullying a middle-schooler by sexting a nude  locker-room photo of him or her to numerous classmates is quite another.\u00a0 But important distinctions like this need to  be part of new laws and court decisions that take a fresh look at sexting,  rather than trying to fit it into old legal molds.\u00a0 <\/p>\n<p>Accordingly, the ACLU and Professor Seth Kreimer of Penn&#8217;s  law school should be lauded for taking the side of the teens in this  litigation.\u00a0 By doing so, they are  helping to forge a new body of law that seeing sexting as what it is, and  considers reasonable ways to address it.\u00a0\u00a0\u00a0 <\/p>\n<p><strong>The Facts <\/strong><\/p>\n<p>In the case before the Third Circuit panel, twenty teens who  had either appeared in photos that were &#8220;sexted,&#8221; or received &#8220;sexted&#8221; photos  of others on their cellphones were asked\u00a0  by a\u00a0 D.A. to choose between  facing criminal prosecution by the State of Pennsylvania on child pornography  charges, and attending a six-to-nine-month &#8220;education program.&#8221;\u00a0 <\/p>\n<p>Even a female teenager who had posed for a photo in a bathing  suit, and two teens who were photographed from the waist up wearing opaque  white bras, were forced to make this choice.\u00a0  So was a teen who appeared in a photo topless but otherwise covered. <\/p>\n<p>The program was different for male and female students, and  had decidedly sexist overtones, purporting to teach the female teenagers &#8220;what  it means to be a girl in today&#8217;s society, advantages and disadvantages.&#8221;\u00a0 The students were also required to write an  essay explaining why their actions, in engaging in sexting, were wrong &#8212;  whether or not they actually believed that what they had done was wrong. <\/p>\n<p><strong>A Disappointing Decision on Mootness<\/strong><\/p>\n<p>During the litigation, the D.A. agreed not to prosecute the  female teenagers who were not even partially nude &#8212; that is, the ones who wore  the bathing suit and the opaque bras.\u00a0  Their cases were therefore dismissed as moot by the Third Circuit.\u00a0 <\/p>\n<p>Instead, I believe that the Third Circuit should have  applied the mootness exception for infringements that are &#8220;capable of  repetition but evading review&#8221; here.\u00a0  That&#8217;s because if future D.A.s use the same modus operandi that was  employed here &#8212; offering teens a choice between an &#8220;educational&#8221; course and  criminal charges &#8212; most will likely take the course, and many may be too scared  to sue, for fear that the suit itself would cause the D.A. to renege on the  bargain and file criminal charges after all.\u00a0 <\/p>\n<p>The students and parents here were laudably &#8212; and, I think,  unusually &#8212; brave.\u00a0 It is easy to imagine  other parents telling their kids, in all good faith, to be quiet, be good, and  finish the course, so that their changes of getting into college will not be  harmed.\u00a0\u00a0 <\/p>\n<p>For this reason, I believe the mootness exception would have  applied, and should have been invoked, so that all the teens&#8217; cases could go  forward. <\/p>\n<p><strong>The Case of the Topless Teenager:\u00a0 The Third Circuit Panel Makes the Right Call<\/strong><\/p>\n<p>The case of the teenager who had been photographed topless  did go forward, for with respect to that case, the D.A. was unwilling to  promise that charges would not be brought. <\/p>\n<p>Thus, with the help of the ACLU, that lone teenager, known  as &#8220;Nancy Doe,&#8221; and her mother, &#8220;Jane Doe,&#8221; who supported her case, sued the  D.A&#8217;s Office on three theories.\u00a0 The  Third Circuit panel essentially agreed that all three theories could be viable,  and left all three to be further developed in the district court. <\/p>\n<p>First, because the D.A. put &#8220;Nancy&#8221; to the choice between  the course and the future prosecution, the court held that Nancy would, if  prosecuted in the future, suffer retaliation by the government for exercising  her freedom of expression.\u00a0 Accordingly,  the court opened the way for a district court injunction against any future  prosecution. <\/p>\n<p>Second, the court allowed Nancy to proceed on the theory  that the D.A.&#8217;s offer had infringed her right not to be compelled to speak  because, to avoid criminal charges, she would have had to write the required  course essay in which the students were to state &#8220;how [their] actions were  wrong,&#8221; and would have had to affirm beliefs about her proper gender role that  she did not actually hold.\u00a0 (The First  Amendment &#8212; though it formally establishes only a right to speak without being  silenced by the government &#8212; has been interpreted by the Supreme Court to  imply a right not to be forced by the government to speak, as well.)<\/p>\n<p>Third, the court held that Nancy&#8217;s mother, Jane, could  continue to assert her right to direct Nancy&#8217;s upbringing and education with  respect to the topics that the D.A.&#8217;s course covered &#8212; and thus to keep Nancy  out of the course without penalty.\u00a0 Here,  the court wrote, &#8220;We agree that an individual District  Attorney may not coerce parents into permitting him to impose on their children  his ideas of morality and gender roles.&#8221;\u00a0\u00a0 <\/p>\n<p><strong>The More Difficult Sexting Cases We Are Likely to See:\u00a0 Will School Punishments Be Upheld Where  D.A.s&#8217; Punishments Fail? <\/strong><\/p>\n<p>All in all, then, the Third Circuit&#8217;s  decision was an important First Amendment victory. Notably, however, the court  carefully steered away from any sense of what public schools can do in similar  &#8220;sexting&#8221; situations. <\/p>\n<p>Thus, the court wrote, &#8220;The District  Attorney is not a public education official, but a public law enforcement  official. We do not express a view on the propriety of this program [referring  to the course on gender roles, with the required essay on why sexting is wrong]  had it been offered as part of the school curriculum.&#8221;<\/p>\n<p>This language suggests a number of  questions that are left for the future.\u00a0  For the moment, let&#8217;s put bullying and the non-consensual taking of  photos aside, and assume instead that groups of teen friends, or teen couples,  are &#8220;sexting&#8221; nude or partly-nude photos of themselves to each other&#8217;s  cellphones.\u00a0 Let&#8217;s assume, also, that  every teen involved knows what is going on and is fine with it &#8212; and that no  prosecutions are on the horizon.\u00a0\u00a0  Finally, to make the First Amendment aspect of the case even stronger,  let&#8217;s also assume that the students are art students, who see no difference  between their photo exchanges and, say, sketching nude models and sharing the  sketches with each other.\u00a0 <\/p>\n<p>Can a public school ban this limited  subset of &#8220;sexting&#8221;?\u00a0\u00a0 Can a public  school require students to author essays condemning this kind of sexting, even  if the students disagree strongly with what they are writing?\u00a0\u00a0\u00a0 These are the kinds of questions that the  Third Circuit decision invites, and that we may well see being raised in the  future.\u00a0 <\/p>\n\n\n<hr size=\"1\">\n<p class=\"authorfoot\">\n<a name=\"bio\"><\/a><em>Julie Hilden, who graduated from Yale Law  School, practiced First Amendment law at the D.C. law firm of Williams &amp;  Connolly from 1996-99 and has been writing about First Amendment issues for a decade.  Hilden is also a novelist. In reviewing Hilden&#8217;s novel, <i>3<\/i>, Kirkus Reviews praised Hilden&#8217;s &#8220;rather uncanny abilities,&#8221; and  Counterpunch called it &#8220;a must read . . . a work of art.&#8221; Hilden&#8217;s  website, <a href=\"http:\/\/www.juliehilden.com\/\" rel=\"noopener\">www.juliehilden.com<\/a>,  includes free MP3 and text downloads of the novel&#8217;s first chapter. It also  includes her article from Animal Law, &#8220;A Contractarian View of Animal  Rights.&#8221;<\/em><\/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\" 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