Procedural history
Sheriff Houchins of Alameda County in California controlled all access to the County Jail.Decision of the Court
The court voted 4-3 in favor of Sheriff Houchins, and reversed and remanded the case back the District Court. Chief Justice Burger wrote the Majority opinion, joined by Justice White and Rehnquist. Justice Stewart concurred with Judgment, while Justice Marshall and Blackmun abstained from the consideration or decision of the case.Majority opinion
Justice Burger held "the media have no special right of access to the Alameda County Jail different from or greater than that accorded the public generally." He based the decision on previous precedent that the First Amendment did not compel either private or public entities to disclose information to the press. He also declined to expand the First Amendment's on policy grounds. "Whether the government should open penal institutions in the manner sought by respondents is a question of policy which a legislative body might appropriately resolve one way or the other." Information about jail conditions was still available through other channels, "albeit not as conveniently as QEDmight prefer."Concurring opinion by Stewart
Justice Stewart agreed with the Majority's decision to overturn the District Court's injunction because he felt it was overly broad. However he felt that a more limited injunction should replace it. He also felt that the press should be given the ability to bring audio & video recording equipment, even if the general public was prohibited from doing so, since they are there to convey information to the general public.Dissent
Justice Stevens wrote the dissent, joined by Justices Brennan and Powell. The dissent disagreed with the Majority's opinion, and felt that Sheriff Houchins should have continued to be compelled to grant KQED and other news media access to the jail. They felt that the Sheriff had restricted KQED access because he was attempting to hide the conditions. They agreed with the District Court's that "the broad restraints on access were not required by legitimate penological interests." The Sheriff's later changes to his policy to allow for media tours was only instituted after the lawsuit, and still had serious limitations, such as the no camera policy, on the media's ability to gather information. As a policy matter, the dissent wrote "there is no legitimate penological justification for concealing from citizens the conditions in which their fellow citizens are being confined[]" and "[a]n official prison policy of concealing such knowledge from the public by arbitrarily cutting off the flow of information at its source abridges the freedom of speech and of the press protected by the First and Fourteenth Amendments to the Constitution." Also, the Dissent criticized the Majority's application of Pell to this case because the prison rule that prevented the Press from speaking to specific prisoners was "not part of an attempt by the State to conceal the conditions in its prisons," but "was an isolated limitation on the efforts of the press to gather information about those conditions imposed only after disciplinary problems had occurred.Notes
A 2009References
External links
* {{caselaw source , case = ''Houchins v. KQED, Inc.'', {{ussc, 438, 1, 1978, el=no , courtlistener =https://www.courtlistener.com/opinion/109921/houchins-v-kqed-inc/ , googlescholar = https://scholar.google.com/scholar_case?case=17191976500273269128 , justia =https://supreme.justia.com/cases/federal/us/438/1/ , oyez = Penal system in California United States Free Speech Clause case law United States Supreme Court cases United States Supreme Court cases of the Burger Court 1978 in United States case law History of Alameda County, California KQED Inc.