Throwback: Trump v. United States | The Levers of Power
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Case: Trump v. United States | Case No. 23-939 | Docket Link: 23-939
Context & ConnectionThis week, we revisit the 2024 landmark ruling on Presidential immunity to provide context for our current coverage of Trump v. Slaughter and Trump v. Cook. These cases collectively explore the boundaries of Article II authority: (1) when can the President fire a person without cause when Congress permitted the person's firing only for cause; and (2) when can courts second guess the President's for cause determinations.
The Immunity FrameworkIn a 6-3 ruling in favor of presidential immunity, the Supreme Court established a three-tiered hierarchy for evaluating the criminal prosecution of a former President:
- Core Constitutional Powers: The President possesses absolute immunity for actions falling within his "conclusive and preclusive" constitutional authority (e.g., the pardon power, veto power, or recognition of foreign nations).
- Official Acts: The President is entitled to presumptive immunity for all other official acts within the "outer perimeter" of his responsibilities. The government must prove that prosecution would pose no danger of intrusion on the Executive Branch's function to rebut this.
- Unofficial Acts: The President holds no immunity for unofficial, private conduct.
Analysis: The "Pall of Prosecution" vs. The Rule of Law
- The Majority Opinion (Roberts): The Court prioritized the "energetic executive," arguing that the threat of future prosecution would "chill" a President's ability to make bold, split-second decisions. By citing Fitzgerald and Youngstown, the Court emphasized that the Executive must be able to manage the Justice Department without judicial "second-guessing" of motives.
- The Evidentiary Bar: Crucially, the Court ruled that in a prosecution for unofficial acts, the Government cannot introduce evidence of official acts (such as private conversations with advisors) to prove the President's intent or context. This creates a significant "evidentiary shield" that complicates the prosecution of private conduct.
- The Dissents (Sotomayor & Jackson): Justice Sotomayor issued a stark warning, arguing the decision creates a "law-free zone" around the President. She contended that the majority's focus on "chilling" presidential action ignores the greater danger of an "insulated" President who can use the tools of the state (like the military or DOJ) to commit crimes with impunity. Justice Jackson focused on the "interbranch accountability" gap, noting that the ruling shifts the power to determine criminal liability from the law to the Judiciary's ad hoc classification of "official" vs. "unofficial."
- First in History: This was the first time in the 235-year history of the United States that the Supreme Court addressed whether a former President is immune from federal criminal prosecution for...
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