“A Profoundly Masculine Act”: Mass Shootings, Violence Against Women, and the Amendment That Could Forge a Path Forward
There is a disturbing connection between mass shootings and violence against women. This connection is one which the Lautenberg Amendment to the Gun Control Act, which prohibits any person convicted of a misdemeanor crime of domestic violence from possessing guns, seeks to disrupt. This Note argues that the Lautenberg Amendment, while an invaluable tool in the fight against mass shootings, does not go far enough. Gender-based crimes other than domestic violence, specifically stalking and sexual assault, are also indicative of a potential for future mass violence. Thus, the Lautenberg Amendment should be expanded to apply to those convicted of misdemeanor crimes of stalking and sexual assault. Part I presents an overview of studies conducted on mass shootings and domestic violence, as well as case studies of instances in which mass shootings, stalking, and sexual assault converged. Part II examines the connection between mass shootings and violence against women by employing a hegemonic masculinity perspective. Part III makes the case for expanding the Lautenberg Amendment to apply to those convicted of misdemeanor crimes of stalking and sexual assault. Part IV looks to initiatives launched in Mexico and the United States as examples of how non-legal actors could go about targeting a root cause of mass shootings: the narrow and dangerous conception of what it is to “be a man” in the United States.
Table of Contents Show
Introduction
In 2012, Devin P. Kelley was charged with assault while stationed at Holloman Air Force Base in New Mexico.
On November 5, 2017, Mr. Kelley entered a church in Sutherland Springs, Texas and killed twenty-five people with a rifle.
The Lautenberg Amendment prohibits any person convicted of a misdemeanor crime of domestic violence from shipping, transporting, possessing, or receiving guns via interstate commerce.
Part I presents an overview of studies on mass shootings and domestic violence. As there has been no formal research into the connection between mass shootings, stalking, and sexual assault, I present case studies of instances in which these phenomena converged. All eight perpetrators of the mass shootings I examine, including Mr. Kelley, had a history not just of domestic violence, but also of stalking, rape, or harassment. Part II examines the connection between mass shootings and violence against women by employing a hegemonic masculinity perspective. I discuss the findings of several scholars who have examined the perceived affronts (“stressors”) that trigger mass murder. All these scholars found some link between the stressors and a hegemonic construction of the perpetrators’ masculine identities: one characterized by power, authority, and physical strength, as well as competitiveness, self-reliance, and stoicism. These scholars’ findings demonstrate that perpetrators of mass murder see violence as a justified response not only to women who affront them, but also to members of a society they perceive as emasculating them. Part III makes the case for expanding the Lautenberg Amendment to apply to those convicted of the misdemeanor crimes of stalking and sexual assault. While expanding the Lautenberg Amendment in this way would constitute an important step in the fight against mass shootings, legislators are not the only actors with a role to play. Non-legal actors, such as parents and educators, are uniquely situated to target a root cause of mass shootings: the narrow and dangerous conception of what it is to “be a man” in the United States. An in-depth exploration of this issue is beyond the scope of this Note, but in its place, Part IV briefly looks to initiatives launched in Mexico and the United States as examples of how non-legal actors could begin disrupting the link between masculinity and violence.
In the era of #MeToo and a national reckoning with violence against women, several principles guiding the discussion that follows must be established. First, one might argue that instead of expanding the Lautenberg Amendment, state legislators should amend state laws to classify stalking and sexual assault as felonies rather than misdemeanors. The Gun Control Act creates classes of individuals who are disqualified from buying or owning guns, including those convicted of felonies. Were state legislators to reclassify these offenses, the argument goes, perpetrators of stalking and sexual assault would be prevented from possessing guns, and the harm caused by their actions would be more fully redressed by harsher sentences.
This Note sides with opponents of “carceral feminism” in assuming from the outset that imposing harsher sentences on perpetrators of gender-based crimes is not a solution to violence against women. Carceral feminism, a phrase coined by Professor Elizabeth Bernstein, refers to a reliance on policing, prosecution, and imprisonment to resolve gender-based violence.
This Note argues that we can do better. Expanding the Lautenberg Amendment to apply to individuals convicted of misdemeanor crimes of stalking and sexual assault is not a perfect solution. Such an act would expand the pool of collateral consequences that follow certain convictions. A burgeoning number of scholars and advocates rightfully lament these consequences, which include ineligibility for public benefits, public housing, student loans, and employment opportunities, as well as civic exclusions such as ineligibility for jury service and disenfranchisement. These consequences hinder re-entry, exacerbate the risks of recidivism, and have a disproportionate impact on individuals and communities of color.
Further, this Note strives to avoid caricaturing perpetrators of mass shootings as “crazed killers” and seeks to understand their actions in the context of the society that produced them. Every time the United States experiences a mass shooting, the link between mass murder and masculinity, as well as that between mass murder and race, go unnoticed. Instead, commentators turn their attention to the need to reform our mental health care system. Accompanying this shift in conversation are descriptions of the perpetrator as a socially isolated and psychotic “madman.”
I. The Connection Between Mass Shootings and Violence Against Women
A. Statistics and Examples
In the aftermaths of mass shootings in the United States, researchers are often unsure how to create profiles of the perpetrators.
Everytown for Gun Safety, a national gun violence prevention organization, defines a mass shooting as an incident in which four or more people, not including the shooter, are killed with a gun.
In 2015, the Huffington Post conducted its own analysis of the data compiled by Everytown for Gun Safety. It found that of the 57 percent of mass shootings involving an intimate partner or other family member, 64 percent of the victims were women and children.
Everytown for Gun Safety’s findings are corroborated by a study performed by Mayors Against Illegal Guns. This organization defines a mass shooting as any incident where at least four people are murdered with a gun.
The ensuing report describes forty-three mass shootings and finds a connection between mass shootings and domestic violence.
A brief survey of high-profile mass shootings from the past two years confirms this pattern. In June 2016, Omar Mateen killed forty-nine people and wounded fifty-three others at an Orlando gay club, Pulse.
In January 2017, Esteban Santiago opened fire at a baggage claim in the Fort Lauderdale International Airport, killing five people and wounding eight others.
In April 2017, Kori Ali Muhammad killed four people in downtown Fresno.
Even when intimate partners or family members are not involved in mass shootings, women are still more likely to be victimized. Victims of mass murder tend to differ from other homicide victims. According to a 2012 study, victims of mass murder in the United States are significantly more likely to be female than are other homicide victims (43 percent compared to 23 percent).
B. Case Studies
In order to elucidate the link between mass shootings and violence against women, a closer look at instances in which these phenomena have converged is warranted. All eight perpetrators of the mass shootings I examine, including Mr. Kelley, had a history not just of domestic violence, but of stalking, rape, or harassment.
1. Mass Shootings Carried Out by Adults
Robert Dear, Kevin Janson Neal, Jarrod W. Ramos, and Micah Johnson were never charged with crimes of domestic violence before they carried out mass shootings. However, all four had a documented history of stalking, rape, or harassment.
In November 2015, Robert Dear, who had a history of stalking, killed three people and wounded nine at a Planned Parenthood facility in Colorado Springs.
Similarly, in November 2017, Kevin Janson Neal killed five people and injured ten others in Northern California.
In June 2018, Jarrod W. Ramos killed five people in the newsroom of a Maryland newspaper.
In July 2016, Micah Johnson killed five Dallas police officers.
Finally, though Devin P. Kelley was charged with a crime of domestic violence, he had also been investigated for rape and sexual assault and had a history of harassing ex-girlfriends. Soon after the Sutherland Springs shooting, authorities released records showing that Mr. Kelley had been the subject of an investigation for sexual assault and rape in 2013.
2. Mass Shootings Carried Out by Students
Elliot Rodger, Seung-Hui Cho, and Nikolas Cruz were never charged with crimes of domestic violence before they carried out school shootings, but all three had a history of stalking or harassment.
In May 2014, Elliot Rodger went on a shooting rampage near the University of California, Santa Barbara campus that killed six people and wounded fourteen more.
Similarly, in April 2007, Seung-Hui Cho killed thirty-two people and wounded seventeen others at Virginia Polytechnic Institute and State University.
Finally, in February 2018, Nikolas Cruz killed seventeen people at Marjory Stoneman Douglas High School in Parkland, Florida.
II. Understanding the Connection Between Mass Shootings and Violence Against Women: A Hegemonic Masculinity Perspective
The number of mass murders in the United States saw a significant increase in the 1970s.
So why, then, do so many white males carry out mass shootings? The strain theory perspective posits that a perpetrator of mass murder goes through several sequential stages leading up to an act of violence. First, he experiences chronic strain, resulting from difficulties in childhood or adolescence.
Several scholars have examined the stressors that trigger uncontrolled strain. Denise Kennedy-Kollar and Christopher A.D. Charles gathered biographical information for twenty-eight men who have committed mass murder in the United States since 1970.
Conceived of by the sociologist R.W. Connell, the hegemonic masculinity framework describes the socially constructed criteria that define who is and is not a “real” man.
[I]n an important sense there is only one complete unblushing male in America: a young, married, white, urban, northern, heterosexual, Protestant, father, of college education, fully employed, of good complexion, weight, and height, and a recent record in sports . . . Any male who fails to qualify in any one of these ways is likely to view himself– during moments at least– as unworthy, incomplete and inferior.
One component of the hegemonic masculine identity is the ability to maintain gainful employment and economic independence, infringement upon which prompted a significant number of the men in these studies to embark on rampages. Seventy-one percent of the men in Kennedy-Kollar and Charles’s sample experienced financial stressors in the form of unemployment, debt, financial loss, and poor job performance or a work-related reprimand.
A second component of the hegemonic masculine identity that was denied to the men in these studies is the ability to exert social dominance and command respect. Sixty-one percent of the men in Kennedy-Kollar and Charles’s sample experienced social stressors such as bullying, social isolation, and racial or ethnic harassment.
A third expectation that hegemonic masculinity places on men, and that the men in these studies struggled to live up to, is the ability to demonstrate romantic and sexual success. Twenty-five percent of the men in Kennedy-Kollar and Charles’s sample had experienced divorce, a breakup, or rejection of romantic or sexual overtures prior to the mass shootings.
Examining the stressors that trigger mass murder elucidates the connection between mass shootings and violence against women. Acts of violence against women such as domestic violence, stalking, and sexual assault suggest that perpetrators aspire to the norms of hegemonic masculinity, the keystone of a patriarchal system that marginalizes and subordinates women. Subscribers to this construction of masculinity, however, see violence as a justified response not only to women who affront them, but also to members of a society they perceive as emasculating them. Therefore, the law should treat acts of violence against women, including stalking and sexual assault, as red flags for larger-scale acts of violence, and proof of these acts’ commission should prevent the perpetrators from acquiring guns.
III. Expanding the Lautenberg Amendment to Apply to Individuals Convicted of Misdemeanor Stalking and Sexual Assault
A. Background
1. The Gun Control Act of 1968
In 1968, Congress passed the Gun Control Act.
2. Amending the Gun Control Act
The passing of legislation to combat domestic violence is a recent phenomenon. The mid-1980s marked a turning point in the development of a tactical response to domestic violence.
3. The Lautenberg Amendment
Legislative History
Senator Frank Lautenberg introduced his amendment to the Gun Control Act in March 1996.
Content
The Lautenberg Amendment is codified in two sections of Title 18. First, 18 U.S.C. § 922(g)(9) prohibits any person convicted of a misdemeanor crime of domestic violence from “ship[ping] or transport[ing] in interstate or foreign commerce, or possess[ing] in or affecting commerce, any firearm or ammunition; or . . . receiv[ing] any firearm or ammunition which has been shipped or transported in interstate or foreign commerce.” A misdemeanor crime of domestic violence has two elements under 18 U.S.C. § 921(a)(33)(A)(ii). First, the offense “has, as an element, the use or attempted use of physical force, or the threatened use of a deadly weapon.”
B. Expanding the Lautenberg Amendment
1. Individuals Convicted of Misdemeanor Stalking
Background
Until the early 1990s, there was little empirical data on stalking available in the United States.
Definition
All fifty states, the District of Colombia, and the federal government have passed statutes that criminalize stalking.
Classification
Most states can prosecute stalking as either a misdemeanor or a felony. Fifteen states and territories classify stalking as a felony on the first offense, which is the minority approach.
Expanding the Lautenberg Amendment
There are many justifications for classifying stalking as a misdemeanor on the first offense. Americans, and feminists in particular, should have a strong interest in seeing an end to the carceral state, in which disproportionate numbers of poor people and people of color languish behind bars. However, the assumption that on the first offense, stalking is an isolated incident, rather than a red flag for future violence, should not be among these justifications.
Research shows that stalking is closely linked to domestic violence. According to estimates by the National Organization for Victim Assistance in 1993, 75 to 80 percent of stalking cases in the United States are related to domestic violence.
Most importantly, research suggests that the occurrence of stalking indicates that the cycle of violence is approaching its all-too-frequent endpoint: femicide.
Consequently, stalking is a red flag for a future act of violence. However, because most states classify stalking on the first offense as a misdemeanor, and conviction of a misdemeanor stalking crime has no consequences for gun ownership, perpetrators who are first-time offenders are free to buy guns once they are released from jail and resume, or possibly escalate, their course of conduct. Indeed, a 2014 review of conviction records in twenty states by the Center for American Progress showed that there are almost 12,000 individuals who have been convicted of misdemeanor stalking but are still permitted to possess guns under federal law.
Expanding the Lautenberg Amendment to apply to individuals convicted of misdemeanor stalking could correct for this loophole in the law by prohibiting them from possessing guns. An expansion of the Lautenberg Amendment is necessary because the Amendment as it stands, as well as other provisions of the Gun Control Act, cannot sufficiently mitigate the risk of future violence that perpetrators of stalking pose.
To begin, the Lautenberg Amendment’s definition of misdemeanor crimes of domestic violence as those that have as an element the use or threatened use of physical force does not include stalking crimes. Most statutes define stalking as a course of conduct directed at a person that places that person in fear for his or her safety.
One could argue that 18 U.S.C. § 922(g)(8), which prohibits anyone subject to a protective order from owning or possessing a gun, is sufficient to bar perpetrators of stalking from gun ownership. However, the requirement that the restraining order be issued after a hearing of which the respondent received notice and in which he had an opportunity to participate, though necessary for due process, leaves gaps in the statute’s protections.
First, many judges issue temporary restraining orders (TROs) without requiring the respondent’s presence. In all fifty states, a judge may issue a TRO without the respondent’s presence if the petitioner demonstrates an urgent need for protection.
Second, the petitioner is often unable to serve the respondent with the TRO, which includes notice of a hearing, due to limited resources or fear.
Third, due to the increasing use of mediation in family law disputes, many couples stipulate to restraining orders without scheduling a hearing.
Fourth, even a permanent restraining order must meet other statutory requirements. The order must include a finding that the respondent poses a threat to the physical safety of his intimate partner or child and prohibit his use, attempted use, or threatened use of physical force against his intimate partner or child.
2. Individuals Convicted of Misdemeanor Sexual Assault
Background
Professor Michelle J. Anderson describes the classic rape narrative as follows:
A fair young woman is walking home alone at night. . . . Suddenly, . . . a strange, dark man lunges out at her, knife at her throat, and drags her into a dark alley where he threatens to kill her, and beats her until she bleeds. The young woman puts up a valiant fight to protect her sexual virtue, but the assailant overcomes her will and rapes her.
This type of rape is a statistical outlier, woven from a racist and sexist mythology.
Definition and Classification
Use of force requirements for sexual assault convictions vary among the states. In order to be convicted of a state’s highest, non-aggravated sexual offense, forty-three states and the District of Columbia require that the perpetrator use force against his victim.
Expanding the Lautenberg Amendment
There are many justifications for classifying non-consensual penetration committed without the use of force as a misdemeanor. However, Anderson argues that one justification scholars have adopted rests on the faulty assumption that without an extrinsic, violent assault, there is no harm in rape.
Physical violence in general does far more harm to the victim’s welfare than an unwanted sex act. Physical violence in general expresses a more complete indifference, or a more intense hostility, to the victim’s humanity . . . [W]hether measured by the welfare or by the dignity of the victim, as a general matter unwanted sex is not as bad as violence.
Like Dripps, Professor Stephen Schulhofer argues that states should criminalize two separate offenses.
The lived experience of survivors, however, sheds a very different light on the harm of the act. Some commentators have described rape as “social murder,” a crime that causes “a temporary social death.”
Rape denies that you are a person, that you exist . . . [W]omen experience total helplessness and obliteration during rape. When a woman’s existence just does not matter, intercourse becomes rape. Her existence may not matter whether the attack is by a date, a spouse, a friend, or a stranger. Thus, the important factor is non-existence.
The experiences of these survivors likely reflect the classic rape narrative, which remains the public face of rape in the United States.
My damage was internal, unseen, I carry it with me. You took away my worth, my privacy, my energy, my time, my safety, my intimacy, my confidence, [and] my own voice . . . You made me a victim . . . For a while, I believed that that was all I was. I had to force myself to relearn my real name, my identity. To relearn that this is not all that I am.
This testimony demonstrates that survivors, such as the author of the victim impact statement, may experience non-consensual penetration committed without the use of force as a form of annihilation. But what about perpetrators of these crimes? Do they accordingly experience rape as domination? It is difficult to find studies of individuals like Mr. Turner, likely because sex offenders are made into pariahs and are fearful of further stigmatization.
Being sexually driven by dominance is likely also a red flag for a future act of violence. Individuals who are sexually driven by dominance are clearly “overconformists to a particular normative construction of masculinity.”
IV. Disrupting the Link Between Masculinity and Violence
Expanding the Lautenberg Amendment to apply to those convicted of misdemeanor stalking and sexual assault would constitute an important step in the fight against mass shootings. However, non-legal actors such as parents and educators are uniquely situated to target a root cause of mass shootings: the narrow and dangerous conception of what it is to “be a man” in the United States. An in-depth exploration of this issue is beyond the scope of this Note, but in its place, I briefly look to initiatives launched in Mexico and the United States as examples of how non-legal actors could go about disrupting the link between masculinity and violence.
Machismo, defined as a “strong sense of masculine pride,” an “exaggerated masculinity,” or “an exaggerated or exhilarating sense of power or strength,” is in many ways the Mexican analog of the hegemonic masculinity seen in the United States.
In contrast, the United States has yet to see a “frontal assault” launched on expressions of hegemonic masculinity. Even among commentators seeking to raise awareness of the dangers of hegemonic masculinity, expectations are low. Indeed, Stephen Marche comments that he is “not asking for male consciousness-raising groups; let’s start with a basic understanding that masculinity is a subject worth thinking about. That alone would be an immense step forward.”
Given this reality, is it unsurprising that many conversations aimed at dismantling hegemonic masculine norms in the United States are taking place in the private sphere. In an article titled “How to Raise a Feminist Son,” Claire Cain Miller, a correspondent for the New York Times, gives instructions to parents on how to go about this task.
Ruminations about hegemonic masculinity have also reached college campuses. In 2013, the Center for the Study of Men and Masculinities was established at Stony Brook University, part of the State University of New York.
Turning to the issue of counseling services, only a handful of universities offer spaces for all men to explore their “shared struggles.”
Lastly, due to their potential to shape public discourse, media and the arts are important frontiers in the battle against hegemonic masculinity, and several artists and cultural commentators are joining the fight. The Good Men Project, now a media company, was founded in 2009 by Tom Matlack, who set out to collect stories about the defining moments in men’s lives.
Conclusion
This Note has argued that the Lautenberg Amendment should be expanded to apply to those convicted of misdemeanor crimes of stalking and sexual assault. Acts of violence against women such as domestic violence, stalking, and sexual assault suggest that perpetrators conform to the norms of hegemonic masculinity, the keystone of a patriarchal system that marginalizes and subordinates women. Subscribers to this construction of masculinity, however, see violence as a justified response not only to women who affront them, but also to members of a society they perceive as emasculating them. Therefore, acts of violence against women, including stalking and sexual assault, should be treated by the law as red flags for larger-scale acts of violence, and proof of their commission should prevent the perpetrators from acquiring guns.
While expanding the Lautenberg Amendment in this way would constitute an important step in the fight against mass shootings, so much more remains to be done. Take the case of Cheryl Mascareñas. In 2016, Ms. Mascareñas began dating George Daniel Wechsler.
Tragedies like that which befell Ms. Mascareñas and her children can be avoided if Congress expands the Lautenberg Amendment to apply to dating partners and family members beyond spouses and children.
DOI: https://doi.org/10.15779/Z382V2C98F.
Copyright © 2019 California Law Review, Inc. California Law Review, Inc. (CLR) is a California nonprofit corporation. CLR and the authors are solely responsible for the content of their publications.
Yasmine Issa: J.D., University of California, Berkeley, School of Law, 2018.
- Alan Blinder, Dave Phillips & Richard A. Oppel Jr., In 2012 Assault, Texas Gunman Broke Skull of Infant Stepson, N.Y. Times (Nov. 6, 2017), https://www.nytimes.com/2017/11/06/us/devin-patrick-kelley-texas.html?action=click&contentCollection=U.S.&module=RelatedCoverage®ion=EndOfArticle&pgtype=article [https://perma.cc/7SM5-ZW3E]. ↑
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- Texas Gunman Devin Kelley’s Ex-wife Says He “Had a Lot of Demons,” CBS News (Nov. 10, 2017, 7:00 PM), https://www.cbsnews.com/news/tessa-brennaman-devin-kelley-sutherland-springs/ [https://perma.cc/DRD6-EZ3Q]. ↑
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- Sheryl Gay Stolberg, Domestic Abusers Are Barred From Gun Ownership, but Often Escape the Law, N.Y. Times (Nov. 6, 2017), https://www.nytimes.com/2017/11/06/us/politics/domestic-abuse-guns-texas-air-force.html?_r=0 [https://perma.cc/8VSD-62UT]. ↑
- David Montgomery, Richard A. Oppel Jr. & Jose A. Del Real, Air Force Error Allowed Texas Gunman to Buy Weapons, N.Y. Times (Nov. 6, 2017), https://www.nytimes.com/2017/11/06/us/texas-shooting-church.html [https://perma.cc/KMQ5-FB2H]. ↑
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- Richard A. Oppel Jr., Air Force Failed to Report Dozens of Service Members to Gun Database, N.Y. Times (Nov. 28, 2017), https://www.nytimes.com/2017/11/28/us/air-force-devin-kelley-gunman-texas.html [https://perma.cc/37SU-MX6C]. ↑
- Stolberg, supra note 6. ↑
- 18 U.S.C. § 922(g)(9). ↑
- The Editorial Bd., There Is Common Ground on Guns, N.Y. Times (Dec. 19, 2017), https://www.nytimes.com/interactive/2017/12/19/opinion/domestic-violence-guns.html [https://perma.cc/4MT9-T99X]. ↑
- In this Note, the term “sexual assault” refers to a sex crime that is often classified as a misdemeanor: non-consensual penetration committed without the use of force. ↑
- Alex Press, #MeToo Must Avoid “Carceral Feminism,” Vox (Feb. 1, 2018), https://www.vox.com/the-big-idea/2018/2/1/16952744/me-too-larry-nassar-judge-aquilina-feminism [https://perma.cc/8Q87-TARY]. ↑
- Elizabeth Bernstein, The Sexual Politics of the “New Abolitionism,” 18 Differences 128, 143 (2007). ↑
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- Michael Pinard, Collateral Consequences of Criminal Convictions: Confronting Issues of Race and Dignity, 85 N.Y.U. L. Rev. 457, 459–64 (2010). ↑
- For example, in a tweet following the Parkland, Florida school shooting, President Trump described the perpetrator as a “savage sicko.” Donald J. Trump (@realDonaldTrump), Twitter (Feb. 22, 2018), https://twitter.com/realDonaldTrump/status/966653833047887874 [https://perma.cc/AZ8V-UADE] Similarly, National Rifle Association spokeswoman Dana Loesch described the gunman as “an insane monster.” Jen Christensen, Trump’s Language on School Shooter’s Mental Health Could be Harmful, Experts Say, CNN (Feb. 22, 2018), https://www.cnn.com/2018/02/22/health/trump-mental-illness-comments-bn/index.html [https://perma.cc/2985-RSB7] ↑
- Soraya Chemaly, Mass Killings in the US: Masculinity, Masculinity, Masculinity, Huffington Post, http://www.huffingtonpost.com/soraya-chemaly/mass-killings-in-the-us-w_b_8234322.html (Oct. 5, 2016) [https://perma.cc/947W-XXWA]. ↑
- Azadeh Aalai, Profile of a Mass Shooter: The Domestic Violence Link, Psychol. Today: The First Impression (May 7, 2016), https://www.psychologytoday.com/blog/the-first-impression/201605/profile-mass-shooter-the-domestic-violence-link [https://perma.cc/BUK2-DEPZ]. ↑
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- Mass Shootings in the United States: 2009–2016, Everytown for Gun Safety (Apr. 11, 2017), https://everytownresearch.org/reports/mass-shootings-analysis [https://perma.cc/6SFH-8E77]. ↑
- Id. ↑
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- Blinder et al., supra note 1. ↑
- Montgomery et al., supra note 7. Similarly, in November 2017, Kevin Janson Neal killed four people and injured ten others in Northern California. The death toll rose to five after authorities found the body of Mr. Neal’s wife hidden under the floor of the couple’s house. Investigators believe that Mr. Neal’s rampage started with her killing. Thomas Fuller, Northern California Gunman Killed Wife Before Shooting Rampage, N.Y. Times (Nov 15. 2017), https://www.nytimes.com/2017/11/15/us/northern-california-shooting-wife.html [https://perma.cc/9E29-7REQ]. ↑
- Melanie Jeltsen, We’re Missing The Big Picture on Mass Shootings, Huffington Post (Sept. 15, 2015), http://www.huffingtonpost.com/entry/mass-shootings-domestic-violence-women_us_55d3806ce4b07addcb44542a. [https://perma.cc/HW3M-JF92]. ↑
- Mass Shootings Since January 20, 2009, Mayors Against Illegal Guns 1 (2013), https://www.washingtonpost.com/blogs/wonkblog/files/2013/02/mass_shootings_2009-13_-_jan_29_12pm1.pdf [https://perma.cc/75R9-U7QE]. ↑
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- Id. ↑
- Id. ↑
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- Stolberg, supra note 6. ↑
- Melissa Jeltsen, It’s Time To Recognize What Many Mass Murderers Share In Common, Huffington Post (July 18, 2016), https://www.huffingtonpost.com/entry/mass-killers-domestic-violence_us_578d06ade4b0fa896c3f6837 [https://perma.cc/HK7Z-TSW3]. ↑
- Id. ↑
- Rebecca Traister, What Mass Killers Really Have in Common, Cut (July 15, 2016), http://nymag.com/thecut/2016/07/mass-killers-terrorism-domestic-violence.html [https://perma.cc/GLE3-HZGM]. ↑
- Margaret Talbot, Terror Begins at Home, New Yorker: Daily Comment (June 16, 2016), http://www.newyorker.com/news/daily-comment/terror-begins-at-home [https://perma.cc/PW5A-FQPC]. ↑
- See Adam Goldman, Orlando Gunman’s Wife Breaks Silence: ‘I Was Unaware,’ N.Y. Times (Nov. 1, 2016), http://www.nytimes.com/2016/11/02/us/politics/orlando-shooting-omar-mateen-noor-salman.html [https://perma.cc/DY2S-R3DZ] ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Brady Zadrozny, Ft. Lauderdale Gunman Esteban Santiago Was Being Prosecuted for Strangling His Girlfriend, Daily Beast (Jan. 7, 2017), http://www.thedailybeast.com/articles/2017/01/06/esteban-santiago-id-d-as-airport-gunman-flew-with-gun-in-checked-luggage [https://perma.cc/KNX6-QK3R] ↑
- Id. ↑
- Id. ↑
- Id. ↑
- The Latest: Fresno Suspect Faces 4 Murder Charges, Associated Press (Apr. 18, 2017), http://hosted2.ap.org/APDEFAULT/386c25518f464186bf7a2ac026580ce7/Article_2017-04-18-US--Fresno Fatal Shooting-The Latest/id-6936c5f353914af999730eb0bc6ad9ae [https://perma.cc/9G24-QP45]. ↑
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- Denise Kennedy-Kollar & Christopher A.D. Charles, Hegemonic Masculinity and Mass Murderers in the United States, 8 Sw. J. Crim. Just. 62, 63 (2012). ↑
- Jeltsen, supra note 29. ↑
- Soraya Chemaly, In Orlando, as Usual, Domestic Violence Was Ignored Red Flag, Rolling Stone (June 13, 2016), http://www.rollingstone.com/politics/news/in-orlando-as-usual-domestic-violence-was-ignored-red-flag-20160613 [https://perma.cc/AZ98-4UXY]. ↑
- This Note does not argue that the law should treat a history of verbally and sexually harassing women as a red flag for a future act of violence. Such non-violent behavior is not (and should not be) criminalized. However, case studies of individuals with such a history who went on to carry out mass shootings have been included due to the light they shed on the larger link between mass shootings and misogyny. ↑
- William Wan, Before Colorado Shooting, A Trail of Allegations of Violence Against Women, Wash. Post (Dec. 1, 2015), https://www.washingtonpost.com/national/before-colorado-shooting-a-long-history-of-violence-against-women/2015/12/01/7f494c86-987b-11e5-8917-653b65c809eb_story.html [https://perma.cc/YA42-L2EW]. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- See id. ↑
- Id. ↑
- Id. ↑
- Samantha Allen, Alleged Planned Parenthood Shooter Robert Lewis Dear Was Accused of Domestic Violence and Leering, Daily Beast (Nov. 28, 2015), http://www.thedailybeast.com/articles/2015/11/28/alleged-planned-parenthood-shooter-robert-lewis-dear-s-history-of-trouble-with-the-law.html [https://perma.cc/E648-FH7G]. ↑
- Id. ↑
- Id. ↑
- Wan, supra note 54. ↑
- Id. ↑
- Allen, supra note 62. ↑
- Fuller, supra note 28. ↑
- Linley Sanders, Who Is Kevin Jansen Neal? California School Shooter Was Another Angry White Man with A Record of Violence Against Women, Newsweek (Nov. 15, 2017), http://www.newsweek.com/who-kevin-jansen-neal-white-male-shooter-was-about-face-trial-711928 [https://perma.cc/EX9W-TK9B]. ↑
- Dale Kasler, Tehama Deputies were Called 21 Times to Gunman’s Neighborhood in the Months Before Shooting Spree, Sacramento Bee (Nov. 21, 2017), http://www.sacbee.com/news/local/crime/article185810693.html [https://perma.cc/KU9C-2KF2]. ↑
- Id. ↑
- Sam Stanton, Dale Kasler & Randall Benton, ‘A Madman on the Loose.’ Tehama Shooter Began Spree by Killing his Wife, Hiding her Body, Sheriff Says, Sacramento Bee (Nov. 15, 2017), http://www.sacbee.com/news/local/crime/article184754473.html [https://perma.cc/3DP5-B7T6]. ↑
- Id. ↑
- California Shooting Gunman’s Neighbor Lived in Fear of Him, CBS News (Nov. 16, 2017), https://www.cbsnews.com/news/california-shooting-kevin-janson-neal-neighbor [https://perma.cc/28TB-7GML]. ↑
- Stanton et al., supra note 72. ↑
- Timothy Williams & Amy Harmon, Maryland Shooting Suspect Had Long-Running Dispute With Newspaper, N.Y. Times (June 29, 2018), https://www.nytimes.com/2018/06/29/us/jarrod-ramos-annapolis-shooting.html [https://perma.cc/A6F8-9Q39]. ↑
- Id. ↑
- Scott Neuman, What We Know About the Alleged Gunman at a Maryland Newsroom, N.P.R. (June 29, 2018), https://www.npr.org/2018/06/29/624558184/what-we-know-about-the-alleged-gunman-at-a-maryland-newspaper?t=1534423823216 [https://perma.cc/8LV7-5ZXK]. ↑
- Id. ↑
- Williams & Harmon, supra note 76. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Michael Daly, Micah Johnson Was Kicked Out of the Army for Stealing Panties, Daily Beast (July 9, 2016), http://www.thedailybeast.com/articles/2016/07/09/inside-the-fall-of-the-dallas-shooter.html [https://perma.cc/UB9F-EDMX]. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Montgomery et al., supra note 7. ↑
- Id. ↑
- Tim Stelloh, Caitlin Fichtel & Tracy Connor, Who Is Devin Kelley, the Texas Church Shooter?, NBC News (Nov. 6, 2017), https://www.nbcnews.com/storyline/texas-church-shooting/who-devin-kelley-alleged-texas-church-shooter-n817806 [https://perma.cc/U6GQ-JKG3]. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- S.E. Smith, It’s Time to Make Domestic Violence a Primary Focus—And Not Only Because So Many Perpetrators Go on to Commit Mass Shootings, xoJane (July 21, 2016), http://www.xojane.com/issues/domestic-violence-mass-shootings [https://perma.cc/K7AZ-SLSE]. ↑
- Mass Shootings, Misogyny, and the Aggrieved Entitlement Of White Males, Pub. Health Watch (May 26, 2014), [hereinafter Mass Shootings, Misogyny] https://publichealthwatch.wordpress.com/2014/05/26/mass-shootings-misogyny-and-the-aggrieved-entitlement-of-white-males [https://perma.cc/6V5P-ZM7H]. ↑
- Dan Good, Clayton Sandell & Cecilia Vega, Elliot Rodger’s Previous Attacks on Women, Couples, Yahoo! News: Good Morning America (May 27, 2015), https://gma.yahoo.com/elliot-rodgers-previous-attacks-women-couples-135909744--abc-news-topstories.html [https://perma.cc/F7NE-UHRW]. ↑
- Mass Shootings, Misogyny, supra note 96. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Laurie Essig, Elliot Rodger and the Problem with Manhood, Psychol. Today (May 25, 2014), https://www.psychologytoday.com/blog/love-inc/201405/elliot-rodger-and-the-problem-manhood [https://perma.cc/23CA-LJJZ]. ↑
- Traister, supra note 38. ↑
- Essig, supra note 102. ↑
- Id. ↑
- John L. Oliffe et al., Men, Masculinities, and Murder-Suicide, 9 Am. J. Men’s Health 473 (2015). ↑
- John Cloud, The Question Mark in Harper Hall, Time (April 18, 2007), http://content.time.com/time/nation/article/0,8599,1612003,00.html [https://perma.cc/C9GD-PSNA]. ↑
- Adam Geller, Va. Gunman Had 2 Past Stalking Cases, Associated Press (Apr. 18, 2007), https://web.archive.org/web/20080509004315/http://www.newsday.com/news/nationworld/nation/ny-ustech-side,0,7759008.story [https://perma.cc/9DVN-YUY5]. ↑
- Michael E. Ruane, ‘Looking Back . . . We Should Have Done Something,’ Wash. Post. (Apr. 22, 2007), http://www.washingtonpost.com/wp-dyn/content/article/2007/04/21/AR2007042101223.html [https://perma.cc/5D75-DN7X]. ↑
- Id. ↑
- Id. ↑
- See id. ↑
- See Remy Smidt, The Florida Shooting Suspect Snapped into a Jealous Rage when Another Student Began Dating His Ex-Girlfriend, BuzzFeed News (Feb. 17, 2018), https://www.buzzfeed.com/remysmidt/cruz?utm_term=.ltxaJ0k5#.omlD90YZ [https://perma.cc/38FQ-XXEL]. ↑
- Id. ↑
- Gabrielle Fonrouge & Ruth Brown, Alleged School Shooter was Abusive to Ex-Girlfriend: Classmate, N.Y. Post (Feb. 15, 2018), https://nypost.com/2018/02/15/alleged-school-shooter-was-abusive-to-ex-girlfriend-classmate [https://perma.cc/87SA-PARH]. ↑
- Id. ↑
- Id. ↑
- Parkland School Shooting: Student Says She Was Stalked by Nikolas Cruz Prior to Attack, Inside Edition (Feb. 20, 2018), http://www.insideedition.com/parkland-school-shooting-student-says-she-was-stalked-nikolas-cruz-prior-attack-40890 [https://perma.cc/CUJ6-6TVB]. ↑
- Id. ↑
- Eric Madfis, Triple Entitlement and Homicidal Anger: An Exploration of the Intersectional Identities of American Mass Murderers, 17 Men & Masculinities 67, 69 (2014). ↑
- Id. at 70; Kennedy-Kollar & Charles, supra note 50, at 63. ↑
- Madfis, supra note 120, at 78. ↑
- Id. ↑
- Mark Follman, Gavin Aronsen & Deanna Pan, A Guide to Mass Shootings in America, Mother Jones (Feb. 14, 2018), http://www.motherjones.com/politics/2012/07/mass-shootings-map?page=2 [https://perma.cc/5G8T-TCTV]. ↑
- Madfis, supra note 120, at 77. ↑
- Id. at 71. ↑
- Kennedy-Kollar & Charles, supra note 50, at 64. ↑
- See id.; Madfis, supra note 120, at 74. ↑
- See Kennedy-Kollar & Charles, supra note 50, at 64. ↑
- See Benedict Carey, Are Mass Murderers Insane? Usually Not, Researchers Say, N.Y. Times (Nov. 8, 2017), https://www.nytimes.com/2017/11/08/health/mass-murderers-mental-illness.html [https://perma.cc/N84K-ZKVD]. ↑
- Kennedy-Kollar & Charles, supra note 50, at 62. ↑
- Oliffe et al., supra note 106, at 473. ↑
- Michael S. Kimmel & Matthew Mahler, Adolescent Masculinity, Homophobia, and Violence: Random School Shootings, 1982-2001, 46 Am. Behav. Scientist 1439 (2003). ↑
- Madfis, supra note 120, at 68. ↑
- R.W. Connell, Gender and Power: Society, the Person, and Sexual Politics (1987). ↑
- Kennedy-Kollar & Charles, supra note 50, at 65; Oliffe et al., supra note 106, at 474. ↑
- See Oliffe et al., supra note 106, at 474. ↑
- See id. ↑
- Id. ↑
- Mass Shootings, Misogyny, supra note 96. ↑
- Id. ↑
- Kennedy-Kollar & Charles, supra note 50, at 68. ↑
- See Oliffe et al., supra note 106, at 480. ↑
- Madfis, supra note 120, at 77. ↑
- Kennedy-Kollar & Charles, supra note 50, at 67. ↑
- See Oliffe et al., supra note 106, at 481. ↑
- Kimmel & Mahler, supra note 133, at 1440. ↑
- Id. at 1445. ↑
- Kennedy-Kollar & Charles, supra note 50, at 69. ↑
- Id. at 70. ↑
- Alison J. Nathan, At the Intersection of Domestic Violence and Guns: The Public Interest Exception and the Lautenberg Amendment, 85 Cornell L. Rev. 822, 833 (2000). ↑
- Id. ↑
- Id. at 834. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- See Bethany A. Corbin, Goodbye Earl: Domestic Abusers and Guns in the Wake of United States v. Castleman—Can the Supreme Court Save Domestic Violence Victims?, 94 Neb. L. Rev. 101, 105, 116 (2015). ↑
- See Nathan, supra note 151, at 829. ↑
- See id. at 829–30. ↑
- See id. at 825. ↑
- See id. at 830–36. ↑
- 18 U.S.C. § 922(g)(8) (1994). ↑
- Id. ↑
- 18 U.S.C. § 922(d)(8) (1994). ↑
- Id.; 18 U.S.C. § 922(g)(8) (1994). ↑
- Id. ↑
- Id. ↑
- Stolberg, supra note 6. ↑
- See Melanie C. Schneider, The Imprecise Draftsmanship of the Lautenberg Amendment and the Resulting Problems for the Judiciary, 17 Colum. J. Gender & L. 505, 510 (2008). ↑
- See John M. Skakun III, Violence and Contact: Interpreting “Physical Force” in the Lautenberg Amendment, 75 U. Chi. L. Rev. 1833, 1834–35 (2008). ↑
- See id. ↑
- See Schneider, supra note 169, at 510. ↑
- See id. at 510. ↑
- See Corbin, supra note 157, at 122. ↑
- Id. ↑
- Id. ↑
- See id. at 123. ↑
- Schneider, supra note 169, at 511. ↑
- See id. ↑
- 18 U.S.C. § 921(a)(33)(A)(ii) (2014). ↑
- Id. ↑
- Id. The Lautenberg Amendment uses the term “victim” to describe those who have endured domestic violence and come out on the other side. In an effort to avoid further disempowerment of such individuals, this Note uses the term “survivor” instead. ↑
- Corbin, supra note 157, at 121. ↑
- Id. ↑
- The Model Stalking Code Revisited: Responding to the New Realities of Stalking, Nat’l Ctr. for Victims of Crime 12 (2007), http://victimsofcrime.org/docs/PDFs/MODEL CODE 2007.pdf?sfvrsn=0 [https://perma.cc/Z7WR-TXN3]. ↑
- Belinda Wiggins, Stalking Humans: Is There A Need for Federalization of Anti-Stalking Laws in Order to Prevent Recidivism in Stalking?, 50 Syracuse L. Rev. 1067, 1071–72 (2000). ↑
- Id. at 1072. ↑
- Id. ↑
- Ashley N. B. Beagle, Modern Stalking Laws: A Survey of State Anti-Stalking Statutes Considering Modern Mediums and Constitutional Challenges, 14 Chap. L. Rev. 457, 458 (2011). ↑
- The Model Stalking Code Revisited, supra note 185, at 13. ↑
- Id. ↑
- Madfis, supra note 120, at 77. ↑
- Mark Irving, Domestic Violence, 4 Geo. J. Gender & L. 451, 455 (2002). ↑
- Amy C. Radosevich, Thwarting the Stalker: Are Anti-Stalking Measures Keeping Pace with Today’s Stalker?, 2000 U. Ill. L. Rev. 1371, 1373 (2000). ↑
- Id. at 1382. ↑
- Irving, supra note 193, at 458. ↑
- Beagle, supra note 189, at 459. ↑
- Irving, supra note 193, at 459. ↑
- The Model Stalking Code Revisited, supra note 185, at 35–36. ↑
- Id. at 35. ↑
- Id. at 38–39. ↑
- Melissa A. Knight, Stalking and Cyberstalking in the United States and Rural South Dakota: Twenty-Four Years After the First Legislation, 59 S.D. L. Rev. 392, 409 (2014). ↑
- Id. ↑
- Id. at 410. ↑
- Radosevich, supra note 194, at 1375. ↑
- The Model Stalking Code Revisited, supra note 185, at 13. ↑
- Id. ↑
- Id. ↑
- Id. at 14. ↑
- Id. ↑
- Stolberg, supra note 6. ↑
- Radosevich, supra note 194, at 1373. ↑
- Irving, supra note 193, at 458. ↑
- 18 U.S.C. § 921(a)(33)(A)(ii) (2014). ↑
- Tom Lininger, A Better Way to Disarm Batterers, 54 Hastings L.J. 525, 564 (2003). ↑
- Id. at 564–65. ↑
- Id. at 565. ↑
- When Abusers Are Most Lethal, N.Y. Times: The Home Front, Pt. 4 (Dec. 19, 2017), https://www.nytimes.com/interactive/2017/12/19/opinion/restraining-order-gun-violence.html [https://perma.cc/KU9V-GPCQ]. ↑
- Id. ↑
- Id. ↑
- See Lininger, supra note 215 at 567. ↑
- Id. ↑
- Id. at 568. ↑
- Id. ↑
- 18 U.S.C. §§ 922(g)(8), (d)(8) (1994). ↑
- Lininger, supra note 215, at 571. ↑
- Id. ↑
- Michelle J. Anderson, All-American Rape, 79 St. John’s L. Rev. 625, 625–26 (2005). ↑
- Id. at 626. ↑
- Id. at 626–27. ↑
- Id. at 627. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. at 629. ↑
- Id. at 630. ↑
- Id. at 631–32. ↑
- Id. at 632. ↑
- Id. at 636. ↑
- Id. at 637. ↑
- Id. at 637. ↑
- Id. ↑
- Id. ↑
- Id. at 639–40. ↑
- Id. ↑
- Id. at 640 (emphasis added). ↑
- Abbe Smith, Representing Rapists: The Cruelty of Cross and Other Challenges for a Feminist Criminal Defense Lawyer, 53 Am. Crim. L. Rev. 255, 264 (2016). ↑
- Id. ↑
- Anderson, supra note 228, at 641 (emphasis omitted). ↑
- Id. at 633. ↑
- Id. ↑
- Id. at 642. ↑
- Marina Koren, Telling the Story of the Stanford Rape Case, The Atlantic (June 6, 2016), http://www.theatlantic.com/news/archive/2016/06/stanford-sexual-assault-letters/485837 [https://perma.cc/4CRA-FN8N]. ↑
- Id. ↑
- Court Statement of Stanford Rape Victim, N.Y. Times (June 8, 2016), http://www.nytimes.com/interactive/2016/06/08/us/stanford-rape-victim-statement.html [https://perma.cc/94BK-QBQP]. ↑
- All fifty states, the District of Columbia, and the five principal American territories have enacted sex offender registration statutes, which require offenders to register or face criminal penalties. Many have instituted residency and work restrictions, forcing offenders to live under highways and in other remote areas. Indefinite civil commitment of sex offenders has been upheld as constitutional by__ __the Supreme Court. Sentences for sex crimes are also longer in the United States. The average time served for rape is sixty months in the United States, compared to thirty-four months on average in our peer countries. There is a strong argument that our hyper-punitive response to sex offenders is not only ineffective, but also counterproductive. Smith, supra note 247, at 260–61. ↑
- Anderson, supra note 228, at 642. ↑
- Id. ↑
- Id. at 643. ↑
- Kimmel and Mahler, supra note 133, at 1440. ↑
- Corbin, supra note 157. ↑
- Machismo, Merriam-Webster, https://www.merriam-webster.com/dictionary/machismo [https://perma.cc/5FEV-PE5A]. ↑
- Paulina Villegas, Where Machismo Is Entrenched, Focus Moves to the Trenches, N.Y. Times (April 23, 2017), https://www.nytimes.com/2017/04/23/world/americas/where-machismo-is-entrenched-focus-moves-to-the-trenches.html?smprod=nytcore-iphone&smid=nytcore-iphone-share&_r=0 [https://perma.cc/C8MD-4DJJ]. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Stephen Marche, The Unexamined Brutality of the Male Libido, N.Y. Times (Nov. 25, 2017), https://www.nytimes.com/2017/11/25/opinion/sunday/harassment-men-libido-masculinity.html [https://perma.cc/5GT4-SK9Y]. ↑
- Claire Cain Miller, How to Raise a Feminist Son, N.Y. Times (June 2, 2017), https://www.nytimes.com/2017/06/02/upshot/how-to-raise-a-feminist-son.html [https://perma.cc/BL44-MBEY]. ↑
- Id. ↑
- Moises Velasquez-Manoff, Real Men Get Rejected, Too, N.Y. Times (Feb. 24, 2018), https://www.nytimes.com/2018/02/24/opinion/sunday/real-men-masculinity-rejected.html [https://perma.cc/V6LP-XMRK]. ↑
- Id.; Andrew Reiner, Talking to Boys the Way We Talk to Girls, N.Y. Times (June 15, 2017), https://www.nytimes.com/2017/06/15/well/family/talking-to-boys-the-way-we-talk-to-girls.html [https://perma.cc/CV8F-EBPE]. ↑
- Andrew Reiner, Teaching Men to Be Emotionally Honest, N.Y. Times (April 4, 2016), https://www.nytimes.com/2016/04/10/education/edlife/teaching-men-to-be-emotionally-honest.html [https://perma.cc/6D3L-97ZQ]. ↑
- Jessica Bennett, A Master’s Degree in . . . Masculinity?, N.Y. Times (August 8, 2015), https://www.nytimes.com/2015/08/09/fashion/masculinities-studies-stonybrook-michael-kimmel.html [https://perma.cc/WL7C-YUYD]. ↑
- Reiner, supra note 276. ↑
- Id. ↑
- Andrew Reiner, Boy Talk: Breaking Masculine Stereotypes, N.Y. Times (October 24, 2018), https://www.nytimes.com/2018/10/24/well/family/boy-talk-breaking-masculine-stereotypes.html [https://perma.cc/8HKV-UNB6]. ↑
- Good Men Project, https://goodmenproject.com/about [https://perma.cc/E55M-MB2T]. ↑
- Id. ↑
- The Mask You Live In (Representation Project 2015). ↑
- The Mask You Live In: About the Film, Representation Project, http://therepresentationproject.org/film/the-mask-you-live-in/about-the-film [https://perma.cc/E8KU-Z36J]. ↑
- Challenging Visual Stereotypes of Masculinity, N.Y. Times (Sept. 18, 2018), https://www.nytimes.com/2018/09/18/lens/challenging-visual-stereotypes-of-masculinity.html [https://perma.cc/485H-5UB5]. ↑
- Id. ↑
- Boyfriends Can Kill Too, N.Y. Times: The Home Front, Pt. 2 (Dec. 19, 2017), https://www.nytimes.com/interactive/2017/12/19/opinion/boyfriend-loophole-guns.html [https://perma.cc/9MQ5-23L2]. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Id. ↑
- Senator Amy Klobuchar has introduced legislation that would close the “boyfriend loophole,” and would also prevent those convicted of misdemeanor stalking from possessing guns: precisely what this Note advocates. Id. ↑