A. Ernest Fitzgerald claimed that he lost his employment with
the Air Force because he gave testimony before Congress that was
critical of his employer. He tried to add President Nixon as a
defendant in his suit, but Nixon argued that a President cannot be
sued for actions taken while in office. The trial and appellate court
rejected the President's claim of immunity, and the case went to the
Supreme Court.
In a 5-4 decision, the Supreme Court ruled that the President is
entitled to absolute immunity from liability for damages based on his
official acts.
Justice Lewis Powell wrote for the majority. He noted that the
Court had never before ruled on the scope of presidential
immunity. Many public officials have a limited, or
“qualified,” immunity that applies so long as they have
acted in “good faith.” Some other officials, such as
judges and prosecutors, have been given an unlimited, or
“absolute,” immunity because of the special nature of
their duties. Giving the President only qualified immunity, Justice
Powell argued, would make his actions subject to review by the
judicial branch and might compromise the separation of
powers. Lawsuits could distract the President from his official
duties. The scope of the President's authority and responsibility is
so broad that it is not realistic to restrict his immunity. Powell
wrote that determining “good faith” would mean that the
President's motivations would have to be examined in each case, which
would be highly intrusive.
Justice Byron White's dissent argued that the majority's rule
was too broad. Under it, a President could “deliberately cause
serious injury to any number of citizens even though he knows his
conduct violates a statute or tramples on the constitutional rights of
those who are injured.”
The Supreme Court revisited presidential immunity in
Clinton v. Jones,
1997. Paula Jones sued Bill Clinton while he was President of the
United States, accusing him of sexual misconduct when he was Governor
of Arkansas. Clinton argued that the case should be dismissed, because
the President has absolute immunity from suit.
The Supreme Court noted that Nixon
v. Fitzgerald gave the President “absolute
immunity from damages liability predicated on his official
acts,” but did not extend this immunity to actions that were
clearly outside the scope of his presidential duties. The major
rationale of Fitzgerald was to remove the
possibility that the threat of litigation would make the President
“unduly cautious in the discharge of his official duties.”
Jones's allegations involved acts that allegedly occurred before
Clinton became President, so Fitzgerald's
reasoning did not apply and Jones should be allowed to bring her
case.
Finally, the Supreme Court acknowledged that the trial court
judge would have the discretion to schedule the various aspects of the
case to minimize disruption of the President's official duties. The
Court ruled that it is not appropriate, however, to automatically
require the plaintiff to wait until the end of the President's term in
office.
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