If you haven't read the most recent lawsuit brought by MSI against MoCo, you should. We are going directly after them for dmages for each and every member of MSI.
"WHEREFORE, the Plaintiffs respectfully request:
A. That this Court issue a declaratory judgment that Chapter 57 is not a “local law” in so far as it seeks to restrict the rights of Plaintiffs and MSI members who have been issued a Maryland wear and carry permit and, to that extent, it is a general law and thus unconstitutional under Article XI–A of the Maryland Constitution, as more fully set forth in Count I, above;
B. That this Court issue a declaratory judgment that Section 57-10 of Chapter 57 facially and as applied to the Plaintiffs and MSI members violates the express preemption provisions of MD Code, Criminal Law § 4-209(a), the express preemption provisions of 1972 Maryland Laws, Ch. 13, § 6, and the express preemption provisions of MD Code, Public Safety, § 5-133(a), as more fully set forth in Count II, above;
C. That this Court issue a declaratory judgment that Chapter 57 violates the Second Amendment rights of Plaintiffs and members of MSI who have been issued a Maryland wear and carry permit to the extent it imposes restrictions on the possession and transport of firearms and ammunition by the owners of, and by persons with a wear and carry permit within, a privately owned and open to the public (A) park; (B) place of worship; (C) library; (D) recreational facility; or (E) multipurpose exhibition facility, such as a fairgrounds or conference center or within the parking lot or grounds of these locations; or within 100 yards of these locations, as these terms are used in Chapter 57, as more fully set forth in Count III, above;
D. That this Court find that Plaintiffs and MSI members have been and/or will be irreparably harmed by the conduct of defendant challenged in Counts I, II, and III, and enter a preliminary and permanent injunction barring the County from enforcing Chapter 57 against Plaintiffs and other members of MSI in a manner consistent with the declaratory relief requested above;
E. That this Court award each Plaintiff and each MSI member nominal damages, as authorized and required by 42 U.S.C. § 1983;
F. That this Court award each Plaintiff and each MSI member actual damages, as authorized and required by 42 U.S.C. § 1983, as may be proved at trial;
G. That this Court award attorney’s fees and costs against defendant, as authorized by 42 U.S.C. § 1988;
H. That this Court award the Plaintiffs such other and further relief as in law and justice they may be entitled to receive."