Posted by Eugene Volokh:
May Public University Deny Funding and Access to Groups That Discriminate Based 
on Religion?
http://volokh.com/archives/archive_2008_12_07-2008_12_13.shtml#1228945887


   This issue has come in a bunch of cases recently, some involving
   religious discrimination and some involving sexual orientation
   discrimination; the [1]AP reports that the Eleventh Circuit heard
   arguments about it today, in the Beta Upsilon Chi v. University of
   Florida litigation. (The University's lawyer, by the way, is my friend
   Chris Bartolomucci, who's an extremely sharp fellow.)

   I think the two decisions on which the student groups' arguments tend
   to rest -- Boy Scouts v. Dale, which upheld groups' right to
   discriminate against prospective members whose status would undermine
   the groups' message, and Rosenberger v. Rector, which held that public
   universities can't discriminate based on viewpoint in generally
   available student group funding programs -- are correct. But I don't
   think that they, put together, generally give the student groups what
   they want in these cases. (I set aside the more fact-specific
   arguments raised by some groups who claim that the university lets
   some groups discriminate in violation of the university's stated
   policies but blocks other groups from doing something similar.)

   My view, as I've argued in my [2]Freedom of Expressive Association and
   Government Subsidies, 58 Stanford Law Review 1919 (2006), is that the
   government need not subsidize the student groups' right of expressive
   association, just as it need not subsidize abortion rights, private
   schooling rights, the right to lobby the government, and the like.
   Here's a table that illustrates this -- rows 1 and 2 discuss the
   Court's past holdings, rows 3 and 4 discuss situations that I assume
   would be easy constitutional cases, and row 5 discusses cases such as
   the one we're discussing here:

   1. Right to abortion A state may not ban abortions, but it need not
   pay for them with state funds, or allow them to be performed at
   state-run hospitals even if it chooses to pay for childbirth.

   2. Right to free speech A state may not ban advocacy of a candidate or
   a legislative proposal, but it need not subsidize it through the
   charitable tax exemption even if it subsidizes non-electioneering,
   non-lobbying speech through the charitable tax exemption.

   3. Right not to marry A state may not require people to marry, but it
   need not give unmarried couples or platonic roommates special dorm
   housing, even if it subsidizes married couples by offering such
   housing.

   4. Right to privately educate one's children A state may not ban
   private education, but it need not pay for private education, even if
   it pays billions for public education.

   5. Right to discriminate in one's expressive associations A state
   generally may not ban expressive groups from discriminating based on
   religion or sexual orientation in selecting members or officers, but
   it need not subsidize those groups, even if it subsidizes other
   groups.

   It's true that the government may not engage in (certain kinds of)
   viewpoint-based subsidies, see Rosenberger v. Rector. But -- as I
   argue in more detail in my Stanford piece -- this doesn't stop the
   government from declining to subsidize speech in content-neutral ways,
   or even in content-based but viewpoint-neutral ways. And a subsidy
   that's open only to groups that don't discriminate based on race,
   religion, sex, and the like in their membership decisions is a
   permissible viewpoint-neutral subsidy.

   True, the nondiscrimination rule reflects the enactors' viewpoint, but
   all laws, including content-neutral ones, do that. It also has a
   disparate impact on groups with a certain viewpoint, but again most
   speech restrictions, including content-neutrals, do that, too. The
   constitutionally significant point is that it is not triggered by the
   viewpoints expressed by the groups' speech, but rather by the groups'
   conduct.

   I should say, by the way, that I think these nondiscrimination
   policies are not a very good idea, and not conducive to genuine
   diversity of viewpoints and ideas (which is often valuable even in
   high schools), especially when they apply to religion. After all, most
   ideological groups are free to open their membership only to people
   who agree with their ideology (the court gives as examples EarthCorps
   and the Gay-Straight Alliance), and that makes perfect sense: You want
   student groups to be effective voices for the ideologies they were
   organized to espouse, and you don't want their foes to be able to take
   them over or dilute their voices. Religious groups are asking only for
   that very same ability.

   Indeed, religious groups' exercise of this ability constitutes
   discrimination based on religion (which is barred by this and many
   other such policies), and not discrimination based on environmentalism
   or attitudes towards gay rights (which is permitted). But in this
   context it makes sense, I think, to exempt religious student groups
   from the religious discrimination ban, precisely so they can be
   effective voices for their ideology just as the other groups are
   effective voices for theirs.

   Nonetheless, while I think exempting groups this way is good policy, I
   think it's not a constitutionally mandated policy (and I'm inclined to
   say it's not mandated by the Equal Access Act, either, though I
   haven't spent as much time thinking about that). If you're interested
   in more detail on this, check out the [3]article I cite above.

   Thanks to [4]How Appealing for the pointer. Note that this post is
   drawn from [5]an earlier post that I put up when the issue was last in
   court.

References

   1. 
http://hosted.ap.org/dynamic/stories/F/FRATERNITY_LAWSUIT?SITE=AP&SECTION=HOME&TEMPLATE=DEFAULT
   2. http://www.law.ucla.edu/volokh/association.pdf
   3. http://www.law.ucla.edu/volokh/association.pdf
   4. http://howappealing.law.com/
   5. http://volokh.com/posts/1209507440.shtml

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