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The Climate Litigation Database

White Hat v. Murrill

Geography
Year
2019
Document Type
Litigation
Part of

About this case

Filing year
2019
Status
District court's disposition of the case affirmed.
Docket number
24-30272
Court/admin entity
United StatesUnited States Court of Appeals for the Fifth Circuit (5th Cir.)United StatesUnited States Federal Courts
Case category
Climate Change Protesters and Scientists (US)Protesters (US)
Principal law
United StatesFirst AmendmentUnited StatesFourteenth Amendment—Due Process
At issue
Lawsuit challenging 2018 amendments to a Louisiana law that prohibits unauthorized entry of critical infrastructure by expanding the definition of critical infrastructure to include 125,000 miles of pipelines.
Topics
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Documents

Filing Date
Document
Type
Topics 
Beta
Search results
06/20/2025
District court's disposition of the case affirmed.
The Fifth Circuit Court of Appeals rejected constitutional challenges to Louisiana’s Infrastructure Trespass Statute, which criminalizes “unauthorized entry of a critical infrastructure.” The definition of “critical infrastructure” was amended in 2018 to include pipelines. The plaintiffs challenging the statute included individuals arrested in connection with protests of the Bayou Bridge Pipeline (“Arrested Plaintiffs”), “Landowner Plaintiffs” who opposed the pipeline and who allowed the protestors on their property, and individual and organizational “Advocacy Plaintiffs” who previously organized pipeline protests. The Fifth Circuit first affirmed the dismissal of the Louisiana Attorney General from the suit on sovereign immunity grounds and also affirmed the dismissal on standing grounds of the Advocacy Plaintiffs and Landowner Plaintiffs. In addition, the Fifth Circuit agreed with the district court’s determination that the Arrested Plaintiffs’ as-applied challenge to the Infrastructure Trespass Statute was moot because the statute of limitations for charges associated with the 2018 protests had expired. On the merits, the Fifth Circuit affirmed the district court’s rejection of the plaintiffs’ claims that the Infrastructure Trespass Statute was unconstitutionally vague or that it constituted an impermissible content-based restriction or was overbroad under the First Amendment. One judge dissented from the majority’s conclusion that the statute was not unconstitutionally vague.
Decision

Summary

Lawsuit challenging 2018 amendments to a Louisiana law that prohibits unauthorized entry of critical infrastructure by expanding the definition of critical infrastructure to include 125,000 miles of pipelines.

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Group
Topics
Policy instrument
Risk
Impacted group
Fossil fuel
Economic sector
Adaptation/resilience
Finance