Justice
John Paul Stevens, writing for the plurality, said that the: Stevens, writing for the majority, further investigated the Due Process issues of the ordinance. Firstly, the Court discussed the ordinance's failure to satisfy the fair notice requirement. Loitering under the ordinance's language was an act that could be used arbitrarily to identify community members by the police. Community members would not have proper notice as the "notice" they received would have been retroactively given when the police arrested the individual. The language of the dispersal order needed to be more specific as it needed to have set the required guidelines people followed when dispersing. The Court questioned, "How long must the loiterers remain apart?" Overall, the Court found that ordinance to be so vague that it stops the public from being able to follow it. Secondly, the Court deemed the ordinance to violate the "requirement that a legislature establish minimal guidelines to govern law enforcement." This ordinance gave power, without bounds, to the police to determine who violated the ordinance. Overall, the majority concluded that the ordinance needs more definiteness and clarity. Only Stevens, joined by Justice Souter and Justice Ginsburg, could agree on that. ==Impact==