· 9/28/2023
Amber K. Walkington, CRNA v. Texas Board of Nursing Kathy Shipp, MSN, RN, FNP, Texas Board of Nursing President And Katherine A. Thomas, MN, RN, FAAN, Texas Board of Nursing Executive Director
How courts have described this case
Verbatim parenthetical descriptions written by other courts when citing this decision. Ranked by citation-network relevance.
- holding that a fundraiser that contracted with charities could assert the charities’ First Amendment rights because it had third-party standing to do so
- holding that a law restricting the amount charities could spend on fundraising activities infringed their ability to INTERPIPE CONTRACTING V. BECERRA 27 solicit funds, and amounted to “a direct restriction on protected First Amendment activity”
- noting that a \crucial issue[]\ for overbreadth standing is whether the plaintiff \satisfies the requirement of `injury-in-fact'\
- noting that a “crucial issue[ ]” for overbreadth standing is whether the plaintiff “satisfies the requirement of ‘injury-in-fact’ ”
- noting that to invoke third-party standing in First Amendment cases, a plaintiff must satisfy the requirement of injury in fact
- stating that a fundamental finding in Schaumburg “was that there is no necessary connection between fraud and high solicitation and administrative costs”
Source: CourtListener parenthetical corpus (CC0).
Sourced from CourtListener / Free Law Project (CC0).
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