Justia Agriculture Law Opinion Summaries

Articles Posted in US Court of Appeals for the Eighth Circuit
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The Eighth Circuit affirmed the district court's grant of summary judgment deferring to an insurance policy interpretation made by the FCIC and a determination regarding the FCIC's authority made by the RMA. The court held that the clear language of the Federal Crop Insurance Act indicated that Congress intended the Corporation to have extensive and broad authority; given the FCIA's broad grant of authority to the Corporation, and the specific authority over the provisions of insurance and insurance contracts found in 5 U.S.C. 1505 and 1506, substantial deference was given to the FCIC's interpretation of the special provision; and, considering the plain language of the insurance contract and the deference given to the RMA in its role of supervisor of the FCIC, the RMA's determination that the FCIC was required to provide an interpretation of the special provision to the arbitrating parties was not clearly erroneous. View "Bottoms Farm Partnership v. Perdue" on Justia Law

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Plaintiff, an African American farmer, filed suit against the USDA and others, alleging racial discrimination, retaliation, and conspiracy regarding his loan applications, servicing requests, and the application of administrative offsets to collect on a defaulted loan. The district court dismissed the complaint with prejudice. The Eighth Circuit reversed the district court's conclusions that plaintiff's Equal Credit Opportunity Act (ECOA), 15 U.S.C. 1691 et seq., claims were barred by res judicata and collateral estoppel because the Office of the Assistant Secretary for Civil Rights could not bar subsequent federal litigation; the individual defendants have not demonstrated that plaintiff failed to state an ECOA claim against them where the complaint included sufficient allegations from which one could plausibly infer that the individual defendants qualified as creditors under the ECOA; the district court erred in dismissing plaintiff's Bivens claims against the individual defendants in their individual capacities because his constitutional claims were not barred by a comprehensive remedial scheme; and plaintiff failed to state a claim for conspiracy against the individual defendants. Accordingly, the court affirmed in part, reversed in part, and remanded. View "Johnson v. Perdue" on Justia Law