词条 | Village of Belle Terre v. Boraas |
释义 |
|Litigants=Village of Belle Terre v. Boraas |ArgueDateA=February 19 |ArgueDateB=20 |ArgueYear=1974 |DecideDate=April 1 |DecideYear=1974 |FullName=Village of Belle Terre, et al., v. Bruce Boraas, et al. |ParallelCitations=94 S. Ct. 1536; 39 L. Ed. 2d 797; 6 ERC 1417 |USVol=416 |USPage=1 |Prior=Appeal from the United States Court of Appeals for the Second Circuit |Holding=The police power is a valid basis for establishing residential zones that limit the number of unrelated individuals who may inhabit a dwelling. |SCOTUS=1972-1975 |Majority=Douglas |Dissent=Brennan |Dissent2=Marshall |LawsApplied=U.S. Const. amend. XIV }} Village of Belle Terre v. Boraas, 416 U.S. 1 (1974), is a United States Supreme Court case in which the Court upheld the constitutionality of a residential zoning ordinance that limited the number of unrelated individuals who may inhabit a dwelling. BackgroundA zoning ordinance in the Village of Belle Terre restricted one-family dwellings to single family, which was defined as "[o]ne or more persons related by blood, adoption, or marriage, living and cooking together as a single housekeeping unit" or two people unrelated by blood or marriage. The appellees leased a house zoned for single-family residential to a group of students at nearby State University at Stony Brook. The Village of Belle Terre then brought an order of eviction, claiming that the students did not constitute a family and so were excluded from that zoned area. Prior historyThe appellees sought declaratory judgment and an injunction declaring the ordinance unconstitutional. The district court held the ordinance constitutional, and the Court of Appeals for the Second Circuit reversed. Arguments/theoriesThe students and homeowner argued that (1) the ordinance interferes with a person's right to travel; (2) it interferes with the right to migrate to and settle within a state; (3) it bars people who are uncongenial to the present residents; (4) it expressed social preferences of the residents for groups that will be congenial to them; (5) social homogeneity is not a legitimate interest of government; (6) the restriction of those whom the neighbors do not like trenches on the newcomers' right to privacy; (7) it is not rightful concern to the villages whether the residents are married or unmarried; (8) the ordinance is antithetical to the egalitarian, open, and integrated ideology of the nation. DecisionThe Supreme Court held that the Belle Terre ordinance was a constitutional restriction on the use of land. It further held that the police power is a valid basis for establishing residential zones limiting the number of unrelated individuals that may inhabit a dwelling. In particular, the majority opinion cited the Palo Alto Tenants Union v. Morgan, a 1973 federal decision upholding density limits in zoning. The Supreme Court held
Dissenting opinions
Justice Marshall went on to say
See alsoMoore v. East Cleveland, {{ussc|431|494|1977}} References1. ^416 U.S. 1, 19 External links
| case=Village of Belle Terre v. Boraas, {{ussc|416|1|1974|el=no}} | justia=https://supreme.justia.com/cases/federal/us/416/1/ | loc =http://cdn.loc.gov/service/ll/usrep/usrep416/usrep416001/usrep416001.pdf | oyez =https://www.oyez.org/cases/1973/73-191 6 : United States Supreme Court cases|United States land use case law|United States substantive due process case law|1974 in United States case law|Stony Brook University|United States Supreme Court cases of the Burger Court |
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