The issue before this court is whether the district court properly dismissed claims against Perry Gann in his individual capacity based on qualified immunity. Finding no error, we affirm.
FACTUAL AND PROCEDURAL BACKGROUND
On November 5, 2004, David Stokes filed suit against the Mississippi Department of Wildlife, Fisheries, and Parks and two of its employees, Robert A. Wilder and Perry Gann, pursuant to 42 U.S.C. § 1983, for alleged violations of his constitutional rights. 1 Stokes claims that Gann, after receiving complaints that a co-worker of Stokes’ had engaged in illegal deer hunting, launched an undercover sting operation. Stokes alleges that Gann repeatedly contacted him by phone and approached him at work, pressuring him to go hunting for deer at night using a spotlight, and when Stokes agreed, Gann provided the transportation, spotlight, and weapon. Stokes was charged with headlighting deer in violation of MISSISSIPPI CODE ANNOTATED § 49-7-95, charges which were ultimately dismissed by the County Court of Lauderdale County, Mississippi.
In federal district court, Stokes alleged that Gann’s conduct violated his constitutional rights under the Fourth, Fifth, and Fourteenth Amendments. Gann filed a 12(b)(6) motion to dismiss, which the district court granted, holding that Gann had Eleventh Amendment immunity in his official capacity and qualified immunity in his individual capacity. Stokes appeals the district court’s qualified immunity determination.
DISCUSSION
We review a district court’s decision on a 12(b)(6) motion de novo, accepting all well-pleaded facts as true and viewing those facts in the light most favorable to the plaintiff.
Walker v. S. Cent Bell Tel Co.,
Stokes argues that Gann’s behavior violated his constitutional rights because it was entrapment.
2
The Supreme
*485
Court in
United States v. Russell,
While entrapment alone is not a constitutional violation, the Supreme Court has acknowledged that there may be a substantive due process violation where “the conduct of law enforcement agents is so outrageous that due process principles would absolutely bar the government from invoking judicial processes to obtain a conviction.”
Russell,
CONCLUSION
The judgment is affirmed.
Notes
. Stokes' claims against the Department of Wildlife and Wilder were later dismissed.
. The state trial court found that Gann’s actions constituted entrapment and dismissed the charges against Stokes. In Mississippi, entrapment is an affirmative defense. If the defendant already possessed the criminal intent and the request or inducement merely gave the defendant the opportunity to commit what he or she was already predisposed to do, entrapment is not a defense.
See, e.g., Walker
v.
State,
