SlideShare une entreprise Scribd logo
1  sur  8
Télécharger pour lire hors ligne
Case 1:08-cv-01185-MV-SMV Document 1                Filed 12/23/08 Page 1 of 8



                               IN THE UNITED STATES DISTRICT COURT
                                  FOR THE DISTRICT OF NEW MEXICO

STEPHEN SLEVIN,

                  Plaintiff,

vs.                                              No. CIV-

BOARD OF COUNTY COMMISIONERS
FOR THE COUNTY OF DONA ANA;
THE DONA ANA COUNTY DETENTION CENTER,
CHRISTOPHER BARELA,
JOHN DOES 1-3,

                  Defendants.

           COMPLAINT FOR THE RECOVERY OF DAMAGES CAUSED BY THE
                       DEPRIVATION OF CIVIL RIGHTS

           Plaintiff brings this complaint for damages caused by the violation of his civil and

constitutional rights: Plaintiff files this complaint under the federal Civil Rights Act, and the

Constitution of the United States. Plaintiff also brings claims under the New Mexico Tort Claims

Act. In support of this Complaint, Plaintiff alleges the following:


                                    JURISDICTION AND VENUE

      1.      Jurisdiction over the subject matter of this action is conferred by 28 U.S.C 1331 and

              42 U.S.C §§1983 and 1988. Venue us proper as the acts complained of occurred

              exclusively within Dona Ana County, New Mexico.



                                                     PARTIES

      2.      Plaintiff, Stephen Slevin, is an individual and former resident of Dona Ana County,

              New Mexico.




                                                    1
Case 1:08-cv-01185-MV-SMV Document 1                Filed 12/23/08 Page 2 of 8



3.     Defendant Board of County Commissioners for the County of Dona Ana, (hereinafter

       “Board”), is a governmental entity within the State of New Mexico and a “person”

       under 43 U.S.C. § 1983. At all times material to this Complaint the Board was the

       employer of the individual defendants.

4.     Defendant Dona Ana County Detention Center (“DACDC”) is the agency responsible

       for the safe, secure and humane housing of detainees in Dona Ana County.

5.     Defendant Christopher Barela at all material times was the Director of DACDC and is

       sued in his individual and official capacities. Defendant Barela was acting under color

       of state law and within the scope of his employment at all material times.

6.     Defendant John Doe 1 is the case worker assigned to Plaintiff and is sued in his

       individual capacity. John Doe 1 was acting under color of state law and within the

       scope of his employment at all material times.

7.     John Doe 2 is the person entrusted with the responsibility to provide medical services

       to Plaintiff during his incarceration, and is sued in his individual and official

       capacities. John Doe 2 was acting under color of state law and within the scope of his

       employment at all material times.

8.     John Doe 3 is the supervisor who worked in the solitary confinement pod where

       Plaintiff was housed and is sued in his individual and official capacities. John Doe 3

       was acting under color of state law and within the scope of his employment at all

       material times.


                              FACTUAL BACKGROUND

9.     On August 24, 2005 Plaintiff was booked into DACDC on charges of driving while

       intoxicated and receiving or transferring a stolen vehicle.



                                              2
Case 1:08-cv-01185-MV-SMV Document 1              Filed 12/23/08 Page 3 of 8



10.     Plaintiff had a lifelong history of mental illness when he entered DACDC.

11.     Due to the Plaintiff’s illness DACDC placed him in segregation.

12.     On admission to DACDC Plaintiff was a well nourished, physically healthy, adult

        male with a mental illness.

13.     On May 8, 2007, after approximately eighteen months of solitary confinement,

        Plaintiff was transferred from DACDC to the New Mexico Behavioral Health

        Institute at Las Vegas (hereinafter “Las Vegas”), for a psychiatric review.

14.     On admission to Las Vegas, Plaintiff was malnourished weighing approximately

        133lbs.

15.     On admission to Las Vegas, Plaintiff smelled, was disheveled and had an overgrown

        beard and hair.

16.     On admission to Las Vegas, Plaintiff had untreated dental problems and complained

        of bedsores and a fungus on his skin.

17.     On admission to Las Vegas, Plaintiff was not alert to time or situation.

18.     On admission to Las Vegas, Plaintiff was unaware he had spent the last eighteen

        months confined in the county jail.

19.     During his stay at Las Vegas, Plaintiff was given mental health care.

20.     During his stay at Las Vegas, Plaintiff was reintroduced to human interaction and

        socialization.

21.     During his stay at Las Vegas, Plaintiff became alert and aware of his situation.

22.     On May 22, 2007, after only 14 days of mental health treatment Plaintiff was

        discharged from Las Vegas and returned to DACDC.

23.     On his return to DACDC Plaintiff was once again placed in solitary confinement.




                                              3
Case 1:08-cv-01185-MV-SMV Document 1                 Filed 12/23/08 Page 4 of 8



24.     Plaintiff’s mental health again began to deteriorate.

25.     Plaintiff requested medical care, including dental treatment.

26.     Plaintiff’s mental illness was exacerbated by his removal from contact with human

        beings.

27.     Due to the lack of medical care, Plaintiff was forced to pull his own tooth while in

        DACDC.

28.     The charges against Plaintiff were eventually dismissed.

29.     Plaintiff was released on June 25, 2007.

30.     Plaintiff spent twenty-two months incarcerated as a pre-trial detainee, most of the

        time spent in solitary confinement.


            COUNT I: VIOLATION OF PROCEDURAL DUE PROCESS

31.     Plaintiff restates each of the preceding allegations as if fully stated herein.

32.     Plaintiff was placed into extraordinary periods of solitary confinement.

33.     Plaintiff was not afforded a hearing before being placed in solitary confinement.

34.     In placing Plaintiff in solitary confinement for such long periods of time without

        affording him a hearing, Defendants denied Plaintiff procedural due process of law as

        guaranteed by the Fourteenth Amendment to the United States Constitution.


           COUNT II: VIOLATION OF SUBSTANTIVE DUE PROCESS

35.     Plaintiff restates each of the preceding allegations as if fully stated herein.

36.     Plaintiff has a substantive due process right under the Fourteenth Amendment to

        humane conditions of confinement and adequate medical care.




                                               4
Case 1:08-cv-01185-MV-SMV Document 1                 Filed 12/23/08 Page 5 of 8



37.     Rather than treat Plaintiff’s mental health condition, Defendants chose to place him in

        solitary confinement.

38.     Defendants also failed to provide rudimentary dental care to the point Plaintiff was

        forced to pull out his own tooth.

39.     Defendants failed to treat Plaintiff’s bedsores caused by lengthy periods of inactivity.

40.     Defendants failed to take care of Plaintiff’s hygiene after he lost the ability to care for

        himself.

41.     Defendants knew Plaintiff’s mental condition was deteriorating during his time in

        solitary confinement.

42.     As Plaintiff’s condition worsened his appearance made it obvious he was in need of

        immediate medical attention.

43.     Defendants failed to take reasonable measures to prevent the harm caused by such a

        lengthy period of solitary confinement.

44.     Defendants knew Plaintiff faced a substantial risk of serious mental harm if his

        conditions of confinement did not meet contemporary standards of decency.

45.     Defendants acted with deliberate indifference to this risk.

46.     Plaintiff’s conditions of confinement amounted to punishment of a pre-trial detainee

        in violation of the Fourteenth Amendment to the United States Constitution.


 COUNT III: VIOLATION OF THE AMERICANS WITH DISABILITIES ACT

47.     Plaintiff restates each of the preceding allegations as if fully stated herein.

48.     plaintiff is entitled to be free from discrimination under the Americans With

        Disabilities Act, 42 U.S.C. § 12131 et seq.




                                               5
Case 1:08-cv-01185-MV-SMV Document 1                 Filed 12/23/08 Page 6 of 8



49.     Defendants failed to accommodate Plaintiff’s mental disability and denied him the

        benefits and services of the jail by reason of his mental disability.

50.     Plaintiff was denied social interaction by reason of his mental disability.

51.     Plaintiff was unnecessarily segregated due to his mental disability.

52.     Plaintiff was denied reasonable standards of hygiene, dental and medical care due to

        his mental disability.

53.     As a proximate and foreseeable result of Defendants’ discriminatory acts and

        omissions Plaintiff suffered injuries including pain and suffering, emotional distress

        and an exacerbation of his mental illness.


                         COUNT IV: MUNICIPAL LIABILITY

54.     Plaintiff states each of the preceding allegations as if fully stated herein.

55.     Defendants Board and Barela are policy makers responsible for hiring training and

        supervision of its employees.

56.     The policies, customs, decisions and practices of Defendants Board and Barela have

        created a climate within DACDC whereby the mentally ill are deprived of adequate

        medical care and humane conditions of incarceration.

57.     Defendants Board and Barela have a policy and custom of placing inmates with

        mental disabilities into solitary confinement.

58.     There is a causal connection between Defendants’ policies and the violation of

        Plaintiff’s constitutional rights with amounts to deliberate indifference.


      COUNT V: FALSE IMPRISONMENT UNDER THE TORT CLAIMS ACT

59.     Plaintiff restates each of the preceding allegations as if fully stated herein.




                                               6
Case 1:08-cv-01185-MV-SMV Document 1                 Filed 12/23/08 Page 7 of 8



60.     Plaintiff was placed in solitary confinement in violation of his constitutional rights.

61.     Plaintiff’s prolonged detention in solitary confinement was not justified or privileged

        under state law and therefore constituted false imprisonment.

62.     The Board and DACDC Defendants are responsible to Plaintiff under the doctrine of

        respondeat superior for the conduct of their employees.

63.     The actions of Defendants were willful, wanton and in gross and reckless disregard of

        Plaintiff’s rights.


COUNT VI: NEGLIGENT MAINTENANCE OF A BUILDING UNDER THE TORT
                         CLAIMS ACT

64.     Plaintiff restates each of the preceding allegations as if fully stated herein.

65.     Defendants know they are entrusted with the detention of large numbers of mentally

        ill inmates.

66.     Defendants’ facility is not designed to house people with severe mental illnesses.

67.     Defendants owed Plaintiff a duty of care not to house him in a manner likely to cause

        injury.

68.     In operating DACDC Defendant chose to house Plaintiff in solitary confinement

        rather than in a medical facility capable of treating his illness.

69.     By subjecting Plaintiff to such a long period of solitary confinement Defendants

        breached their duty to house Plaintiff in a reasonably prudent manner.

70.     Plaintiff suffered injuries as a direct result of Defendants’ negligent conduct.




                                               7
Case 1:08-cv-01185-MV-SMV Document 1                Filed 12/23/08 Page 8 of 8



                                                 DAMAGES

   71.     As a result of the foregoing, Plaintiff has suffered damages and injuries including but

           no limited to, physical injuries, pain and suffering, and severe psychological and

           emotional distress.

                                              JURY DEMAND

   72.     Plaintiff hereby demands a trial by jury on all counts so triable.



Wherefore, Plaintiff requests judgment as follows:

           1. Compensatory damages in an as yet undetermined amount, jointly and severally

              against all Defendants, including damages for attorney’s fees and emotional harm.

           2. Punitive damages in an as yet undetermined amount severally against the

              individually named Defendants.

           3. Reasonable costs and attorney’s fees incurred in bringing this action.

           4. Such other and further relief as the Court deems just and proper.




                                                             Respectfully Submitted by,




                                                             /s/Matthew Coyte
                                                             MATTHEW COYTE
                                                             COYTE LAW P.C.
                                                             1000 Second St. NW
                                                             Albuquerque, NM 87102
                                                             Tel: (505) 244-3030
                                                             Fax: (505) 244-1406




                                                 8

Contenu connexe

Tendances

Defendants motion to dismiss action for failure to appear at deposition
Defendants motion to dismiss action for failure to appear at depositionDefendants motion to dismiss action for failure to appear at deposition
Defendants motion to dismiss action for failure to appear at depositionCocoselul Inaripat
 
FindLaw | Holocaust Museum Shooting Suspect's Murder Charges
FindLaw | Holocaust Museum Shooting Suspect's Murder ChargesFindLaw | Holocaust Museum Shooting Suspect's Murder Charges
FindLaw | Holocaust Museum Shooting Suspect's Murder ChargesLegalDocs
 
2007 Walczyk V. Rio Sotomayor
2007 Walczyk V. Rio   Sotomayor2007 Walczyk V. Rio   Sotomayor
2007 Walczyk V. Rio Sotomayormaldef
 
BIa reveral 5 Judge James A Nugent
BIa reveral 5 Judge James A Nugent BIa reveral 5 Judge James A Nugent
BIa reveral 5 Judge James A Nugent Bryan Johnson
 
Defendants dismas charties, inc., ana gispert, derek thomas and lashanda adam...
Defendants dismas charties, inc., ana gispert, derek thomas and lashanda adam...Defendants dismas charties, inc., ana gispert, derek thomas and lashanda adam...
Defendants dismas charties, inc., ana gispert, derek thomas and lashanda adam...Cocoselul Inaripat
 
7. enrico vs. heirs of sps. medinaceli
7. enrico vs. heirs of sps. medinaceli7. enrico vs. heirs of sps. medinaceli
7. enrico vs. heirs of sps. medinaceliBlack Mamba
 
Response in motion to oppose
Response in motion to oppose Response in motion to oppose
Response in motion to oppose Bryan Johnson
 

Tendances (10)

Defendants motion to dismiss action for failure to appear at deposition
Defendants motion to dismiss action for failure to appear at depositionDefendants motion to dismiss action for failure to appear at deposition
Defendants motion to dismiss action for failure to appear at deposition
 
FindLaw | Holocaust Museum Shooting Suspect's Murder Charges
FindLaw | Holocaust Museum Shooting Suspect's Murder ChargesFindLaw | Holocaust Museum Shooting Suspect's Murder Charges
FindLaw | Holocaust Museum Shooting Suspect's Murder Charges
 
2007 Walczyk V. Rio Sotomayor
2007 Walczyk V. Rio   Sotomayor2007 Walczyk V. Rio   Sotomayor
2007 Walczyk V. Rio Sotomayor
 
BIa reveral 5 Judge James A Nugent
BIa reveral 5 Judge James A Nugent BIa reveral 5 Judge James A Nugent
BIa reveral 5 Judge James A Nugent
 
Trial Results
Trial ResultsTrial Results
Trial Results
 
Doc.88 1
Doc.88 1Doc.88 1
Doc.88 1
 
Defendants dismas charties, inc., ana gispert, derek thomas and lashanda adam...
Defendants dismas charties, inc., ana gispert, derek thomas and lashanda adam...Defendants dismas charties, inc., ana gispert, derek thomas and lashanda adam...
Defendants dismas charties, inc., ana gispert, derek thomas and lashanda adam...
 
Barnes v. state of indiana
Barnes v. state of indianaBarnes v. state of indiana
Barnes v. state of indiana
 
7. enrico vs. heirs of sps. medinaceli
7. enrico vs. heirs of sps. medinaceli7. enrico vs. heirs of sps. medinaceli
7. enrico vs. heirs of sps. medinaceli
 
Response in motion to oppose
Response in motion to oppose Response in motion to oppose
Response in motion to oppose
 

En vedette

USA vs. Hossein Lahiji, Najmeh Rokhsareh Vahid Dastjerdi, Ahmad Iranshahi - O...
USA vs. Hossein Lahiji, Najmeh Rokhsareh Vahid Dastjerdi, Ahmad Iranshahi - O...USA vs. Hossein Lahiji, Najmeh Rokhsareh Vahid Dastjerdi, Ahmad Iranshahi - O...
USA vs. Hossein Lahiji, Najmeh Rokhsareh Vahid Dastjerdi, Ahmad Iranshahi - O...Umesh Heendeniya
 
After opening a non immigration case by attorneys – 9th circuit
After opening a non immigration case by attorneys – 9th circuitAfter opening a non immigration case by attorneys – 9th circuit
After opening a non immigration case by attorneys – 9th circuitUmesh Heendeniya
 
Confidentiality Issues and Access to Police Investigation Records
Confidentiality Issues and Access to Police Investigation RecordsConfidentiality Issues and Access to Police Investigation Records
Confidentiality Issues and Access to Police Investigation RecordsUmesh Heendeniya
 
Section 1983 basic principles, individual and entity liability, by karen b...
Section 1983   basic principles, individual and entity liability, by  karen b...Section 1983   basic principles, individual and entity liability, by  karen b...
Section 1983 basic principles, individual and entity liability, by karen b...Umesh Heendeniya
 
USA vs. Bank of America and Countrywide - Complaint
USA vs. Bank of America and Countrywide - ComplaintUSA vs. Bank of America and Countrywide - Complaint
USA vs. Bank of America and Countrywide - ComplaintUmesh Heendeniya
 
Steven Wittels v. David Sanford and Jeremy Heisler - Lawsuit complaint
Steven Wittels v. David Sanford and Jeremy Heisler - Lawsuit complaintSteven Wittels v. David Sanford and Jeremy Heisler - Lawsuit complaint
Steven Wittels v. David Sanford and Jeremy Heisler - Lawsuit complaintUmesh Heendeniya
 
AllState Sweeping v. Calvin Black, City and County of Denver.
AllState Sweeping v. Calvin Black, City and County of Denver.AllState Sweeping v. Calvin Black, City and County of Denver.
AllState Sweeping v. Calvin Black, City and County of Denver.Umesh Heendeniya
 
U.S. Congress's Financial Crisis Inquiry Commission Report 662-Pages
U.S. Congress's Financial Crisis Inquiry Commission Report    662-PagesU.S. Congress's Financial Crisis Inquiry Commission Report    662-Pages
U.S. Congress's Financial Crisis Inquiry Commission Report 662-PagesUmesh Heendeniya
 
After opening an immigration case for pro se litigants – 9th circuit
After opening an immigration case for pro se litigants – 9th circuitAfter opening an immigration case for pro se litigants – 9th circuit
After opening an immigration case for pro se litigants – 9th circuitUmesh Heendeniya
 
Judge Carol Higbee Recusal Order (Recuse)
Judge Carol Higbee Recusal Order (Recuse)Judge Carol Higbee Recusal Order (Recuse)
Judge Carol Higbee Recusal Order (Recuse)Umesh Heendeniya
 
Federal Open Government Guide (FOIA and Other Federal Access Laws)
Federal Open Government Guide (FOIA and Other Federal Access Laws)Federal Open Government Guide (FOIA and Other Federal Access Laws)
Federal Open Government Guide (FOIA and Other Federal Access Laws)Umesh Heendeniya
 
EEOC v. Cognis Corp., 10 cv-2182, c.d.Ill. - EEOC sues employer for 'forcing ...
EEOC v. Cognis Corp., 10 cv-2182, c.d.Ill. - EEOC sues employer for 'forcing ...EEOC v. Cognis Corp., 10 cv-2182, c.d.Ill. - EEOC sues employer for 'forcing ...
EEOC v. Cognis Corp., 10 cv-2182, c.d.Ill. - EEOC sues employer for 'forcing ...Umesh Heendeniya
 
Estate of Carlos Centeno, deceased v. Raani Corporation, Rashid A. Chaudary, ...
Estate of Carlos Centeno, deceased v. Raani Corporation, Rashid A. Chaudary, ...Estate of Carlos Centeno, deceased v. Raani Corporation, Rashid A. Chaudary, ...
Estate of Carlos Centeno, deceased v. Raani Corporation, Rashid A. Chaudary, ...Umesh Heendeniya
 
Ninth circuit appellate jurisdiction outline 9th circuit 452-pages
Ninth circuit appellate jurisdiction outline   9th circuit   452-pagesNinth circuit appellate jurisdiction outline   9th circuit   452-pages
Ninth circuit appellate jurisdiction outline 9th circuit 452-pagesUmesh Heendeniya
 
Immigration lawsuits and the apa the basics of a district court action
Immigration lawsuits and the apa   the basics of a district court actionImmigration lawsuits and the apa   the basics of a district court action
Immigration lawsuits and the apa the basics of a district court actionUmesh Heendeniya
 
Practitioner’s handbook for appeals to the 7th circuit 152 pages
Practitioner’s handbook for appeals to the 7th circuit   152 pagesPractitioner’s handbook for appeals to the 7th circuit   152 pages
Practitioner’s handbook for appeals to the 7th circuit 152 pagesUmesh Heendeniya
 
Mandamus actions in immigration avoiding dismissal and proving the case
Mandamus actions in immigration   avoiding dismissal and proving the caseMandamus actions in immigration   avoiding dismissal and proving the case
Mandamus actions in immigration avoiding dismissal and proving the caseUmesh Heendeniya
 
USA vs. Dr. Hossein Lahiji, Attorney Najmeh Vahid Dastjerdi - Oregon Federal ...
USA vs. Dr. Hossein Lahiji, Attorney Najmeh Vahid Dastjerdi - Oregon Federal ...USA vs. Dr. Hossein Lahiji, Attorney Najmeh Vahid Dastjerdi - Oregon Federal ...
USA vs. Dr. Hossein Lahiji, Attorney Najmeh Vahid Dastjerdi - Oregon Federal ...Umesh Heendeniya
 
King vs. hausfeld wrongful termination lawsuit
King vs. hausfeld   wrongful termination lawsuitKing vs. hausfeld   wrongful termination lawsuit
King vs. hausfeld wrongful termination lawsuitUmesh Heendeniya
 

En vedette (19)

USA vs. Hossein Lahiji, Najmeh Rokhsareh Vahid Dastjerdi, Ahmad Iranshahi - O...
USA vs. Hossein Lahiji, Najmeh Rokhsareh Vahid Dastjerdi, Ahmad Iranshahi - O...USA vs. Hossein Lahiji, Najmeh Rokhsareh Vahid Dastjerdi, Ahmad Iranshahi - O...
USA vs. Hossein Lahiji, Najmeh Rokhsareh Vahid Dastjerdi, Ahmad Iranshahi - O...
 
After opening a non immigration case by attorneys – 9th circuit
After opening a non immigration case by attorneys – 9th circuitAfter opening a non immigration case by attorneys – 9th circuit
After opening a non immigration case by attorneys – 9th circuit
 
Confidentiality Issues and Access to Police Investigation Records
Confidentiality Issues and Access to Police Investigation RecordsConfidentiality Issues and Access to Police Investigation Records
Confidentiality Issues and Access to Police Investigation Records
 
Section 1983 basic principles, individual and entity liability, by karen b...
Section 1983   basic principles, individual and entity liability, by  karen b...Section 1983   basic principles, individual and entity liability, by  karen b...
Section 1983 basic principles, individual and entity liability, by karen b...
 
USA vs. Bank of America and Countrywide - Complaint
USA vs. Bank of America and Countrywide - ComplaintUSA vs. Bank of America and Countrywide - Complaint
USA vs. Bank of America and Countrywide - Complaint
 
Steven Wittels v. David Sanford and Jeremy Heisler - Lawsuit complaint
Steven Wittels v. David Sanford and Jeremy Heisler - Lawsuit complaintSteven Wittels v. David Sanford and Jeremy Heisler - Lawsuit complaint
Steven Wittels v. David Sanford and Jeremy Heisler - Lawsuit complaint
 
AllState Sweeping v. Calvin Black, City and County of Denver.
AllState Sweeping v. Calvin Black, City and County of Denver.AllState Sweeping v. Calvin Black, City and County of Denver.
AllState Sweeping v. Calvin Black, City and County of Denver.
 
U.S. Congress's Financial Crisis Inquiry Commission Report 662-Pages
U.S. Congress's Financial Crisis Inquiry Commission Report    662-PagesU.S. Congress's Financial Crisis Inquiry Commission Report    662-Pages
U.S. Congress's Financial Crisis Inquiry Commission Report 662-Pages
 
After opening an immigration case for pro se litigants – 9th circuit
After opening an immigration case for pro se litigants – 9th circuitAfter opening an immigration case for pro se litigants – 9th circuit
After opening an immigration case for pro se litigants – 9th circuit
 
Judge Carol Higbee Recusal Order (Recuse)
Judge Carol Higbee Recusal Order (Recuse)Judge Carol Higbee Recusal Order (Recuse)
Judge Carol Higbee Recusal Order (Recuse)
 
Federal Open Government Guide (FOIA and Other Federal Access Laws)
Federal Open Government Guide (FOIA and Other Federal Access Laws)Federal Open Government Guide (FOIA and Other Federal Access Laws)
Federal Open Government Guide (FOIA and Other Federal Access Laws)
 
EEOC v. Cognis Corp., 10 cv-2182, c.d.Ill. - EEOC sues employer for 'forcing ...
EEOC v. Cognis Corp., 10 cv-2182, c.d.Ill. - EEOC sues employer for 'forcing ...EEOC v. Cognis Corp., 10 cv-2182, c.d.Ill. - EEOC sues employer for 'forcing ...
EEOC v. Cognis Corp., 10 cv-2182, c.d.Ill. - EEOC sues employer for 'forcing ...
 
Estate of Carlos Centeno, deceased v. Raani Corporation, Rashid A. Chaudary, ...
Estate of Carlos Centeno, deceased v. Raani Corporation, Rashid A. Chaudary, ...Estate of Carlos Centeno, deceased v. Raani Corporation, Rashid A. Chaudary, ...
Estate of Carlos Centeno, deceased v. Raani Corporation, Rashid A. Chaudary, ...
 
Ninth circuit appellate jurisdiction outline 9th circuit 452-pages
Ninth circuit appellate jurisdiction outline   9th circuit   452-pagesNinth circuit appellate jurisdiction outline   9th circuit   452-pages
Ninth circuit appellate jurisdiction outline 9th circuit 452-pages
 
Immigration lawsuits and the apa the basics of a district court action
Immigration lawsuits and the apa   the basics of a district court actionImmigration lawsuits and the apa   the basics of a district court action
Immigration lawsuits and the apa the basics of a district court action
 
Practitioner’s handbook for appeals to the 7th circuit 152 pages
Practitioner’s handbook for appeals to the 7th circuit   152 pagesPractitioner’s handbook for appeals to the 7th circuit   152 pages
Practitioner’s handbook for appeals to the 7th circuit 152 pages
 
Mandamus actions in immigration avoiding dismissal and proving the case
Mandamus actions in immigration   avoiding dismissal and proving the caseMandamus actions in immigration   avoiding dismissal and proving the case
Mandamus actions in immigration avoiding dismissal and proving the case
 
USA vs. Dr. Hossein Lahiji, Attorney Najmeh Vahid Dastjerdi - Oregon Federal ...
USA vs. Dr. Hossein Lahiji, Attorney Najmeh Vahid Dastjerdi - Oregon Federal ...USA vs. Dr. Hossein Lahiji, Attorney Najmeh Vahid Dastjerdi - Oregon Federal ...
USA vs. Dr. Hossein Lahiji, Attorney Najmeh Vahid Dastjerdi - Oregon Federal ...
 
King vs. hausfeld wrongful termination lawsuit
King vs. hausfeld   wrongful termination lawsuitKing vs. hausfeld   wrongful termination lawsuit
King vs. hausfeld wrongful termination lawsuit
 

Similaire à Stephen Slevin vs. Board of County Commissioners - Lawsuit Against Jail for Mistreatment

Steakley complaint (1)
Steakley complaint (1)Steakley complaint (1)
Steakley complaint (1)Catlin Bogard
 
Defendants’ reply brief in response to plaintiff’s response brief and in supp...
Defendants’ reply brief in response to plaintiff’s response brief and in supp...Defendants’ reply brief in response to plaintiff’s response brief and in supp...
Defendants’ reply brief in response to plaintiff’s response brief and in supp...Cocoselul Inaripat
 
Defendants’ reply brief in response to plaintiff’s response brief and in supp...
Defendants’ reply brief in response to plaintiff’s response brief and in supp...Defendants’ reply brief in response to plaintiff’s response brief and in supp...
Defendants’ reply brief in response to plaintiff’s response brief and in supp...Cocoselul Inaripat
 
COMPLAINT - Andrea Constand vs William H Cosby
COMPLAINT - Andrea Constand vs William H CosbyCOMPLAINT - Andrea Constand vs William H Cosby
COMPLAINT - Andrea Constand vs William H CosbyVogelDenise
 
Schoolcraft lawsuit vs comp stat nypd
Schoolcraft lawsuit vs comp stat nypdSchoolcraft lawsuit vs comp stat nypd
Schoolcraft lawsuit vs comp stat nypdthepolipit
 
Eng v. Coughlin - US Court of Appeals
Eng v. Coughlin - US Court of AppealsEng v. Coughlin - US Court of Appeals
Eng v. Coughlin - US Court of AppealsTim Jennings
 
MHA6060 Health Law and EthicsWeek 5 AssignmentAPPLICATION
MHA6060 Health Law and EthicsWeek 5 AssignmentAPPLICATIONMHA6060 Health Law and EthicsWeek 5 AssignmentAPPLICATION
MHA6060 Health Law and EthicsWeek 5 AssignmentAPPLICATIONDioneWang844
 
Former state water official files federal civil rights lawsuit against Las Ve...
Former state water official files federal civil rights lawsuit against Las Ve...Former state water official files federal civil rights lawsuit against Las Ve...
Former state water official files federal civil rights lawsuit against Las Ve...This Is Reno
 
INTENTIONAL TRESSPASS TORT.docx
INTENTIONAL TRESSPASS TORT.docxINTENTIONAL TRESSPASS TORT.docx
INTENTIONAL TRESSPASS TORT.docxwrite4
 

Similaire à Stephen Slevin vs. Board of County Commissioners - Lawsuit Against Jail for Mistreatment (20)

Steakley complaint (1)
Steakley complaint (1)Steakley complaint (1)
Steakley complaint (1)
 
Defendants’ reply brief in response to plaintiff’s response brief and in supp...
Defendants’ reply brief in response to plaintiff’s response brief and in supp...Defendants’ reply brief in response to plaintiff’s response brief and in supp...
Defendants’ reply brief in response to plaintiff’s response brief and in supp...
 
Defendants’ reply brief in response to plaintiff’s response brief and in supp...
Defendants’ reply brief in response to plaintiff’s response brief and in supp...Defendants’ reply brief in response to plaintiff’s response brief and in supp...
Defendants’ reply brief in response to plaintiff’s response brief and in supp...
 
Doc.91
Doc.91Doc.91
Doc.91
 
COMPLAINT - Andrea Constand vs William H Cosby
COMPLAINT - Andrea Constand vs William H CosbyCOMPLAINT - Andrea Constand vs William H Cosby
COMPLAINT - Andrea Constand vs William H Cosby
 
Adkins vs. Fields, et al
Adkins vs. Fields, et alAdkins vs. Fields, et al
Adkins vs. Fields, et al
 
Joint shedilling report
Joint shedilling reportJoint shedilling report
Joint shedilling report
 
Doc.29
Doc.29Doc.29
Doc.29
 
Joint shedilling report
Joint shedilling reportJoint shedilling report
Joint shedilling report
 
Schoolcraft lawsuit vs comp stat nypd
Schoolcraft lawsuit vs comp stat nypdSchoolcraft lawsuit vs comp stat nypd
Schoolcraft lawsuit vs comp stat nypd
 
Bragg v Valdez
Bragg v ValdezBragg v Valdez
Bragg v Valdez
 
RvBolducandbird[1]
RvBolducandbird[1]RvBolducandbird[1]
RvBolducandbird[1]
 
Eng v. Coughlin - US Court of Appeals
Eng v. Coughlin - US Court of AppealsEng v. Coughlin - US Court of Appeals
Eng v. Coughlin - US Court of Appeals
 
MHA6060 Health Law and EthicsWeek 5 AssignmentAPPLICATION
MHA6060 Health Law and EthicsWeek 5 AssignmentAPPLICATIONMHA6060 Health Law and EthicsWeek 5 AssignmentAPPLICATION
MHA6060 Health Law and EthicsWeek 5 AssignmentAPPLICATION
 
Doc 105
Doc 105Doc 105
Doc 105
 
Doc 105
Doc 105Doc 105
Doc 105
 
Doc 105
Doc 105Doc 105
Doc 105
 
Wyatt v. stickney 1970
Wyatt v. stickney 1970Wyatt v. stickney 1970
Wyatt v. stickney 1970
 
Former state water official files federal civil rights lawsuit against Las Ve...
Former state water official files federal civil rights lawsuit against Las Ve...Former state water official files federal civil rights lawsuit against Las Ve...
Former state water official files federal civil rights lawsuit against Las Ve...
 
INTENTIONAL TRESSPASS TORT.docx
INTENTIONAL TRESSPASS TORT.docxINTENTIONAL TRESSPASS TORT.docx
INTENTIONAL TRESSPASS TORT.docx
 

Plus de Umesh Heendeniya

Radcliffe v. Experian - Class action representatives' conflict of interest
Radcliffe v. Experian - Class action representatives' conflict of interestRadcliffe v. Experian - Class action representatives' conflict of interest
Radcliffe v. Experian - Class action representatives' conflict of interestUmesh Heendeniya
 
James Carmody v. Kansas City Board of Police Commissioners
James Carmody v. Kansas City Board of Police CommissionersJames Carmody v. Kansas City Board of Police Commissioners
James Carmody v. Kansas City Board of Police CommissionersUmesh Heendeniya
 
Jennifer Westendorf v. West Coast Contractors of Nevada
Jennifer Westendorf v. West Coast Contractors of NevadaJennifer Westendorf v. West Coast Contractors of Nevada
Jennifer Westendorf v. West Coast Contractors of NevadaUmesh Heendeniya
 
Gatto v. United Air Lines, Inc. - Spoliation Instruction in Facebook Account ...
Gatto v. United Air Lines, Inc. - Spoliation Instruction in Facebook Account ...Gatto v. United Air Lines, Inc. - Spoliation Instruction in Facebook Account ...
Gatto v. United Air Lines, Inc. - Spoliation Instruction in Facebook Account ...Umesh Heendeniya
 
EEOC v. Wedco, Inc. - Racial Harassment Lawsuit.
EEOC v. Wedco, Inc. - Racial Harassment Lawsuit.EEOC v. Wedco, Inc. - Racial Harassment Lawsuit.
EEOC v. Wedco, Inc. - Racial Harassment Lawsuit.Umesh Heendeniya
 
Libor Lawsuit - In Re _ LIBOR Antitrust Litigation vs. Bank of America, JPMor...
Libor Lawsuit - In Re _ LIBOR Antitrust Litigation vs. Bank of America, JPMor...Libor Lawsuit - In Re _ LIBOR Antitrust Litigation vs. Bank of America, JPMor...
Libor Lawsuit - In Re _ LIBOR Antitrust Litigation vs. Bank of America, JPMor...Umesh Heendeniya
 
Boston Police Officers' Cocaine Drug Testing Appeals Overturned by State Boar...
Boston Police Officers' Cocaine Drug Testing Appeals Overturned by State Boar...Boston Police Officers' Cocaine Drug Testing Appeals Overturned by State Boar...
Boston Police Officers' Cocaine Drug Testing Appeals Overturned by State Boar...Umesh Heendeniya
 
Rob Lowe and Sheryl Lowe v. Laura Boyce and Does 1 through 100 - Lawsuit Agai...
Rob Lowe and Sheryl Lowe v. Laura Boyce and Does 1 through 100 - Lawsuit Agai...Rob Lowe and Sheryl Lowe v. Laura Boyce and Does 1 through 100 - Lawsuit Agai...
Rob Lowe and Sheryl Lowe v. Laura Boyce and Does 1 through 100 - Lawsuit Agai...Umesh Heendeniya
 
Knives and the Second Amendment, by David Kopel, Esq
Knives and the Second Amendment, by David Kopel, EsqKnives and the Second Amendment, by David Kopel, Esq
Knives and the Second Amendment, by David Kopel, EsqUmesh Heendeniya
 
Linda Eagle v. Sandi Morgan, Haitham Saead, Joseph Mellaci, Elizabeth Sweeney...
Linda Eagle v. Sandi Morgan, Haitham Saead, Joseph Mellaci, Elizabeth Sweeney...Linda Eagle v. Sandi Morgan, Haitham Saead, Joseph Mellaci, Elizabeth Sweeney...
Linda Eagle v. Sandi Morgan, Haitham Saead, Joseph Mellaci, Elizabeth Sweeney...Umesh Heendeniya
 
Estate of Andrew Lee Scott vs. Richard Sylvester, et al - Lake County Wrongfu...
Estate of Andrew Lee Scott vs. Richard Sylvester, et al - Lake County Wrongfu...Estate of Andrew Lee Scott vs. Richard Sylvester, et al - Lake County Wrongfu...
Estate of Andrew Lee Scott vs. Richard Sylvester, et al - Lake County Wrongfu...Umesh Heendeniya
 
State-by-State Guide to Laws on Taping Phone Calls and Conversations, by Repo...
State-by-State Guide to Laws on Taping Phone Calls and Conversations, by Repo...State-by-State Guide to Laws on Taping Phone Calls and Conversations, by Repo...
State-by-State Guide to Laws on Taping Phone Calls and Conversations, by Repo...Umesh Heendeniya
 
Brunson and Thompson vs. Michael Dunn - Lawsuit by surviving Afro-American te...
Brunson and Thompson vs. Michael Dunn - Lawsuit by surviving Afro-American te...Brunson and Thompson vs. Michael Dunn - Lawsuit by surviving Afro-American te...
Brunson and Thompson vs. Michael Dunn - Lawsuit by surviving Afro-American te...Umesh Heendeniya
 
Jordan Davis vs. Michael Dunn - Wrongful death lawsuit filed by Afro-American...
Jordan Davis vs. Michael Dunn - Wrongful death lawsuit filed by Afro-American...Jordan Davis vs. Michael Dunn - Wrongful death lawsuit filed by Afro-American...
Jordan Davis vs. Michael Dunn - Wrongful death lawsuit filed by Afro-American...Umesh Heendeniya
 
Warren v. District of Columbia, 444 A.2d 1 - Police have no duty to protect c...
Warren v. District of Columbia, 444 A.2d 1 - Police have no duty to protect c...Warren v. District of Columbia, 444 A.2d 1 - Police have no duty to protect c...
Warren v. District of Columbia, 444 A.2d 1 - Police have no duty to protect c...Umesh Heendeniya
 
Wall Street and the Financial Crisis-Anatomy of a Financial Collapse, by US S...
Wall Street and the Financial Crisis-Anatomy of a Financial Collapse, by US S...Wall Street and the Financial Crisis-Anatomy of a Financial Collapse, by US S...
Wall Street and the Financial Crisis-Anatomy of a Financial Collapse, by US S...Umesh Heendeniya
 
New York AG vs. JP Morgan Chase, Bear Stearns, EMC Mortgage - Lawsuit
New York AG vs. JP Morgan Chase, Bear Stearns, EMC Mortgage - LawsuitNew York AG vs. JP Morgan Chase, Bear Stearns, EMC Mortgage - Lawsuit
New York AG vs. JP Morgan Chase, Bear Stearns, EMC Mortgage - LawsuitUmesh Heendeniya
 
Edward O'Donnell vs. Countrywide and Bank of America - Lawsuit
Edward O'Donnell vs. Countrywide and Bank of America - LawsuitEdward O'Donnell vs. Countrywide and Bank of America - Lawsuit
Edward O'Donnell vs. Countrywide and Bank of America - LawsuitUmesh Heendeniya
 
American Express v. Italian Colors Restaurant - Public Justice Amicus Brief o...
American Express v. Italian Colors Restaurant - Public Justice Amicus Brief o...American Express v. Italian Colors Restaurant - Public Justice Amicus Brief o...
American Express v. Italian Colors Restaurant - Public Justice Amicus Brief o...Umesh Heendeniya
 
Sylvain vs. AG USA - 3rd Circuit - Attorney Andres Benach's Amici Legal Brief...
Sylvain vs. AG USA - 3rd Circuit - Attorney Andres Benach's Amici Legal Brief...Sylvain vs. AG USA - 3rd Circuit - Attorney Andres Benach's Amici Legal Brief...
Sylvain vs. AG USA - 3rd Circuit - Attorney Andres Benach's Amici Legal Brief...Umesh Heendeniya
 

Plus de Umesh Heendeniya (20)

Radcliffe v. Experian - Class action representatives' conflict of interest
Radcliffe v. Experian - Class action representatives' conflict of interestRadcliffe v. Experian - Class action representatives' conflict of interest
Radcliffe v. Experian - Class action representatives' conflict of interest
 
James Carmody v. Kansas City Board of Police Commissioners
James Carmody v. Kansas City Board of Police CommissionersJames Carmody v. Kansas City Board of Police Commissioners
James Carmody v. Kansas City Board of Police Commissioners
 
Jennifer Westendorf v. West Coast Contractors of Nevada
Jennifer Westendorf v. West Coast Contractors of NevadaJennifer Westendorf v. West Coast Contractors of Nevada
Jennifer Westendorf v. West Coast Contractors of Nevada
 
Gatto v. United Air Lines, Inc. - Spoliation Instruction in Facebook Account ...
Gatto v. United Air Lines, Inc. - Spoliation Instruction in Facebook Account ...Gatto v. United Air Lines, Inc. - Spoliation Instruction in Facebook Account ...
Gatto v. United Air Lines, Inc. - Spoliation Instruction in Facebook Account ...
 
EEOC v. Wedco, Inc. - Racial Harassment Lawsuit.
EEOC v. Wedco, Inc. - Racial Harassment Lawsuit.EEOC v. Wedco, Inc. - Racial Harassment Lawsuit.
EEOC v. Wedco, Inc. - Racial Harassment Lawsuit.
 
Libor Lawsuit - In Re _ LIBOR Antitrust Litigation vs. Bank of America, JPMor...
Libor Lawsuit - In Re _ LIBOR Antitrust Litigation vs. Bank of America, JPMor...Libor Lawsuit - In Re _ LIBOR Antitrust Litigation vs. Bank of America, JPMor...
Libor Lawsuit - In Re _ LIBOR Antitrust Litigation vs. Bank of America, JPMor...
 
Boston Police Officers' Cocaine Drug Testing Appeals Overturned by State Boar...
Boston Police Officers' Cocaine Drug Testing Appeals Overturned by State Boar...Boston Police Officers' Cocaine Drug Testing Appeals Overturned by State Boar...
Boston Police Officers' Cocaine Drug Testing Appeals Overturned by State Boar...
 
Rob Lowe and Sheryl Lowe v. Laura Boyce and Does 1 through 100 - Lawsuit Agai...
Rob Lowe and Sheryl Lowe v. Laura Boyce and Does 1 through 100 - Lawsuit Agai...Rob Lowe and Sheryl Lowe v. Laura Boyce and Does 1 through 100 - Lawsuit Agai...
Rob Lowe and Sheryl Lowe v. Laura Boyce and Does 1 through 100 - Lawsuit Agai...
 
Knives and the Second Amendment, by David Kopel, Esq
Knives and the Second Amendment, by David Kopel, EsqKnives and the Second Amendment, by David Kopel, Esq
Knives and the Second Amendment, by David Kopel, Esq
 
Linda Eagle v. Sandi Morgan, Haitham Saead, Joseph Mellaci, Elizabeth Sweeney...
Linda Eagle v. Sandi Morgan, Haitham Saead, Joseph Mellaci, Elizabeth Sweeney...Linda Eagle v. Sandi Morgan, Haitham Saead, Joseph Mellaci, Elizabeth Sweeney...
Linda Eagle v. Sandi Morgan, Haitham Saead, Joseph Mellaci, Elizabeth Sweeney...
 
Estate of Andrew Lee Scott vs. Richard Sylvester, et al - Lake County Wrongfu...
Estate of Andrew Lee Scott vs. Richard Sylvester, et al - Lake County Wrongfu...Estate of Andrew Lee Scott vs. Richard Sylvester, et al - Lake County Wrongfu...
Estate of Andrew Lee Scott vs. Richard Sylvester, et al - Lake County Wrongfu...
 
State-by-State Guide to Laws on Taping Phone Calls and Conversations, by Repo...
State-by-State Guide to Laws on Taping Phone Calls and Conversations, by Repo...State-by-State Guide to Laws on Taping Phone Calls and Conversations, by Repo...
State-by-State Guide to Laws on Taping Phone Calls and Conversations, by Repo...
 
Brunson and Thompson vs. Michael Dunn - Lawsuit by surviving Afro-American te...
Brunson and Thompson vs. Michael Dunn - Lawsuit by surviving Afro-American te...Brunson and Thompson vs. Michael Dunn - Lawsuit by surviving Afro-American te...
Brunson and Thompson vs. Michael Dunn - Lawsuit by surviving Afro-American te...
 
Jordan Davis vs. Michael Dunn - Wrongful death lawsuit filed by Afro-American...
Jordan Davis vs. Michael Dunn - Wrongful death lawsuit filed by Afro-American...Jordan Davis vs. Michael Dunn - Wrongful death lawsuit filed by Afro-American...
Jordan Davis vs. Michael Dunn - Wrongful death lawsuit filed by Afro-American...
 
Warren v. District of Columbia, 444 A.2d 1 - Police have no duty to protect c...
Warren v. District of Columbia, 444 A.2d 1 - Police have no duty to protect c...Warren v. District of Columbia, 444 A.2d 1 - Police have no duty to protect c...
Warren v. District of Columbia, 444 A.2d 1 - Police have no duty to protect c...
 
Wall Street and the Financial Crisis-Anatomy of a Financial Collapse, by US S...
Wall Street and the Financial Crisis-Anatomy of a Financial Collapse, by US S...Wall Street and the Financial Crisis-Anatomy of a Financial Collapse, by US S...
Wall Street and the Financial Crisis-Anatomy of a Financial Collapse, by US S...
 
New York AG vs. JP Morgan Chase, Bear Stearns, EMC Mortgage - Lawsuit
New York AG vs. JP Morgan Chase, Bear Stearns, EMC Mortgage - LawsuitNew York AG vs. JP Morgan Chase, Bear Stearns, EMC Mortgage - Lawsuit
New York AG vs. JP Morgan Chase, Bear Stearns, EMC Mortgage - Lawsuit
 
Edward O'Donnell vs. Countrywide and Bank of America - Lawsuit
Edward O'Donnell vs. Countrywide and Bank of America - LawsuitEdward O'Donnell vs. Countrywide and Bank of America - Lawsuit
Edward O'Donnell vs. Countrywide and Bank of America - Lawsuit
 
American Express v. Italian Colors Restaurant - Public Justice Amicus Brief o...
American Express v. Italian Colors Restaurant - Public Justice Amicus Brief o...American Express v. Italian Colors Restaurant - Public Justice Amicus Brief o...
American Express v. Italian Colors Restaurant - Public Justice Amicus Brief o...
 
Sylvain vs. AG USA - 3rd Circuit - Attorney Andres Benach's Amici Legal Brief...
Sylvain vs. AG USA - 3rd Circuit - Attorney Andres Benach's Amici Legal Brief...Sylvain vs. AG USA - 3rd Circuit - Attorney Andres Benach's Amici Legal Brief...
Sylvain vs. AG USA - 3rd Circuit - Attorney Andres Benach's Amici Legal Brief...
 

Dernier

南新罕布什尔大学毕业证学位证成绩单-学历认证
南新罕布什尔大学毕业证学位证成绩单-学历认证南新罕布什尔大学毕业证学位证成绩单-学历认证
南新罕布什尔大学毕业证学位证成绩单-学历认证kbdhl05e
 
Virtue ethics & Effective Altruism: What can EA learn from virtue ethics?
Virtue ethics & Effective Altruism: What can EA learn from virtue ethics?Virtue ethics & Effective Altruism: What can EA learn from virtue ethics?
Virtue ethics & Effective Altruism: What can EA learn from virtue ethics?Mikko Kangassalo
 
integrity in personal relationship (1).pdf
integrity in personal relationship (1).pdfintegrity in personal relationship (1).pdf
integrity in personal relationship (1).pdfAmitRout25
 
(南达科他州立大学毕业证学位证成绩单-永久存档)
(南达科他州立大学毕业证学位证成绩单-永久存档)(南达科他州立大学毕业证学位证成绩单-永久存档)
(南达科他州立大学毕业证学位证成绩单-永久存档)oannq
 
Inspiring Through Words Power of Inspiration.pptx
Inspiring Through Words Power of Inspiration.pptxInspiring Through Words Power of Inspiration.pptx
Inspiring Through Words Power of Inspiration.pptxShubham Rawat
 
Module-2-Lesson-2-COMMUNICATION-AIDS-AND-STRATEGIES-USING-TOOLS-OF-TECHNOLOGY...
Module-2-Lesson-2-COMMUNICATION-AIDS-AND-STRATEGIES-USING-TOOLS-OF-TECHNOLOGY...Module-2-Lesson-2-COMMUNICATION-AIDS-AND-STRATEGIES-USING-TOOLS-OF-TECHNOLOGY...
Module-2-Lesson-2-COMMUNICATION-AIDS-AND-STRATEGIES-USING-TOOLS-OF-TECHNOLOGY...JeylaisaManabat1
 
Spiritual Life Quote from Shiva Negi
Spiritual Life Quote from Shiva Negi Spiritual Life Quote from Shiva Negi
Spiritual Life Quote from Shiva Negi OneDay18
 
Authentic No 1 Amil Baba In Pakistan Amil Baba In Faisalabad Amil Baba In Kar...
Authentic No 1 Amil Baba In Pakistan Amil Baba In Faisalabad Amil Baba In Kar...Authentic No 1 Amil Baba In Pakistan Amil Baba In Faisalabad Amil Baba In Kar...
Authentic No 1 Amil Baba In Pakistan Amil Baba In Faisalabad Amil Baba In Kar...Authentic No 1 Amil Baba In Pakistan
 

Dernier (8)

南新罕布什尔大学毕业证学位证成绩单-学历认证
南新罕布什尔大学毕业证学位证成绩单-学历认证南新罕布什尔大学毕业证学位证成绩单-学历认证
南新罕布什尔大学毕业证学位证成绩单-学历认证
 
Virtue ethics & Effective Altruism: What can EA learn from virtue ethics?
Virtue ethics & Effective Altruism: What can EA learn from virtue ethics?Virtue ethics & Effective Altruism: What can EA learn from virtue ethics?
Virtue ethics & Effective Altruism: What can EA learn from virtue ethics?
 
integrity in personal relationship (1).pdf
integrity in personal relationship (1).pdfintegrity in personal relationship (1).pdf
integrity in personal relationship (1).pdf
 
(南达科他州立大学毕业证学位证成绩单-永久存档)
(南达科他州立大学毕业证学位证成绩单-永久存档)(南达科他州立大学毕业证学位证成绩单-永久存档)
(南达科他州立大学毕业证学位证成绩单-永久存档)
 
Inspiring Through Words Power of Inspiration.pptx
Inspiring Through Words Power of Inspiration.pptxInspiring Through Words Power of Inspiration.pptx
Inspiring Through Words Power of Inspiration.pptx
 
Module-2-Lesson-2-COMMUNICATION-AIDS-AND-STRATEGIES-USING-TOOLS-OF-TECHNOLOGY...
Module-2-Lesson-2-COMMUNICATION-AIDS-AND-STRATEGIES-USING-TOOLS-OF-TECHNOLOGY...Module-2-Lesson-2-COMMUNICATION-AIDS-AND-STRATEGIES-USING-TOOLS-OF-TECHNOLOGY...
Module-2-Lesson-2-COMMUNICATION-AIDS-AND-STRATEGIES-USING-TOOLS-OF-TECHNOLOGY...
 
Spiritual Life Quote from Shiva Negi
Spiritual Life Quote from Shiva Negi Spiritual Life Quote from Shiva Negi
Spiritual Life Quote from Shiva Negi
 
Authentic No 1 Amil Baba In Pakistan Amil Baba In Faisalabad Amil Baba In Kar...
Authentic No 1 Amil Baba In Pakistan Amil Baba In Faisalabad Amil Baba In Kar...Authentic No 1 Amil Baba In Pakistan Amil Baba In Faisalabad Amil Baba In Kar...
Authentic No 1 Amil Baba In Pakistan Amil Baba In Faisalabad Amil Baba In Kar...
 

Stephen Slevin vs. Board of County Commissioners - Lawsuit Against Jail for Mistreatment

  • 1. Case 1:08-cv-01185-MV-SMV Document 1 Filed 12/23/08 Page 1 of 8 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW MEXICO STEPHEN SLEVIN, Plaintiff, vs. No. CIV- BOARD OF COUNTY COMMISIONERS FOR THE COUNTY OF DONA ANA; THE DONA ANA COUNTY DETENTION CENTER, CHRISTOPHER BARELA, JOHN DOES 1-3, Defendants. COMPLAINT FOR THE RECOVERY OF DAMAGES CAUSED BY THE DEPRIVATION OF CIVIL RIGHTS Plaintiff brings this complaint for damages caused by the violation of his civil and constitutional rights: Plaintiff files this complaint under the federal Civil Rights Act, and the Constitution of the United States. Plaintiff also brings claims under the New Mexico Tort Claims Act. In support of this Complaint, Plaintiff alleges the following: JURISDICTION AND VENUE 1. Jurisdiction over the subject matter of this action is conferred by 28 U.S.C 1331 and 42 U.S.C §§1983 and 1988. Venue us proper as the acts complained of occurred exclusively within Dona Ana County, New Mexico. PARTIES 2. Plaintiff, Stephen Slevin, is an individual and former resident of Dona Ana County, New Mexico. 1
  • 2. Case 1:08-cv-01185-MV-SMV Document 1 Filed 12/23/08 Page 2 of 8 3. Defendant Board of County Commissioners for the County of Dona Ana, (hereinafter “Board”), is a governmental entity within the State of New Mexico and a “person” under 43 U.S.C. § 1983. At all times material to this Complaint the Board was the employer of the individual defendants. 4. Defendant Dona Ana County Detention Center (“DACDC”) is the agency responsible for the safe, secure and humane housing of detainees in Dona Ana County. 5. Defendant Christopher Barela at all material times was the Director of DACDC and is sued in his individual and official capacities. Defendant Barela was acting under color of state law and within the scope of his employment at all material times. 6. Defendant John Doe 1 is the case worker assigned to Plaintiff and is sued in his individual capacity. John Doe 1 was acting under color of state law and within the scope of his employment at all material times. 7. John Doe 2 is the person entrusted with the responsibility to provide medical services to Plaintiff during his incarceration, and is sued in his individual and official capacities. John Doe 2 was acting under color of state law and within the scope of his employment at all material times. 8. John Doe 3 is the supervisor who worked in the solitary confinement pod where Plaintiff was housed and is sued in his individual and official capacities. John Doe 3 was acting under color of state law and within the scope of his employment at all material times. FACTUAL BACKGROUND 9. On August 24, 2005 Plaintiff was booked into DACDC on charges of driving while intoxicated and receiving or transferring a stolen vehicle. 2
  • 3. Case 1:08-cv-01185-MV-SMV Document 1 Filed 12/23/08 Page 3 of 8 10. Plaintiff had a lifelong history of mental illness when he entered DACDC. 11. Due to the Plaintiff’s illness DACDC placed him in segregation. 12. On admission to DACDC Plaintiff was a well nourished, physically healthy, adult male with a mental illness. 13. On May 8, 2007, after approximately eighteen months of solitary confinement, Plaintiff was transferred from DACDC to the New Mexico Behavioral Health Institute at Las Vegas (hereinafter “Las Vegas”), for a psychiatric review. 14. On admission to Las Vegas, Plaintiff was malnourished weighing approximately 133lbs. 15. On admission to Las Vegas, Plaintiff smelled, was disheveled and had an overgrown beard and hair. 16. On admission to Las Vegas, Plaintiff had untreated dental problems and complained of bedsores and a fungus on his skin. 17. On admission to Las Vegas, Plaintiff was not alert to time or situation. 18. On admission to Las Vegas, Plaintiff was unaware he had spent the last eighteen months confined in the county jail. 19. During his stay at Las Vegas, Plaintiff was given mental health care. 20. During his stay at Las Vegas, Plaintiff was reintroduced to human interaction and socialization. 21. During his stay at Las Vegas, Plaintiff became alert and aware of his situation. 22. On May 22, 2007, after only 14 days of mental health treatment Plaintiff was discharged from Las Vegas and returned to DACDC. 23. On his return to DACDC Plaintiff was once again placed in solitary confinement. 3
  • 4. Case 1:08-cv-01185-MV-SMV Document 1 Filed 12/23/08 Page 4 of 8 24. Plaintiff’s mental health again began to deteriorate. 25. Plaintiff requested medical care, including dental treatment. 26. Plaintiff’s mental illness was exacerbated by his removal from contact with human beings. 27. Due to the lack of medical care, Plaintiff was forced to pull his own tooth while in DACDC. 28. The charges against Plaintiff were eventually dismissed. 29. Plaintiff was released on June 25, 2007. 30. Plaintiff spent twenty-two months incarcerated as a pre-trial detainee, most of the time spent in solitary confinement. COUNT I: VIOLATION OF PROCEDURAL DUE PROCESS 31. Plaintiff restates each of the preceding allegations as if fully stated herein. 32. Plaintiff was placed into extraordinary periods of solitary confinement. 33. Plaintiff was not afforded a hearing before being placed in solitary confinement. 34. In placing Plaintiff in solitary confinement for such long periods of time without affording him a hearing, Defendants denied Plaintiff procedural due process of law as guaranteed by the Fourteenth Amendment to the United States Constitution. COUNT II: VIOLATION OF SUBSTANTIVE DUE PROCESS 35. Plaintiff restates each of the preceding allegations as if fully stated herein. 36. Plaintiff has a substantive due process right under the Fourteenth Amendment to humane conditions of confinement and adequate medical care. 4
  • 5. Case 1:08-cv-01185-MV-SMV Document 1 Filed 12/23/08 Page 5 of 8 37. Rather than treat Plaintiff’s mental health condition, Defendants chose to place him in solitary confinement. 38. Defendants also failed to provide rudimentary dental care to the point Plaintiff was forced to pull out his own tooth. 39. Defendants failed to treat Plaintiff’s bedsores caused by lengthy periods of inactivity. 40. Defendants failed to take care of Plaintiff’s hygiene after he lost the ability to care for himself. 41. Defendants knew Plaintiff’s mental condition was deteriorating during his time in solitary confinement. 42. As Plaintiff’s condition worsened his appearance made it obvious he was in need of immediate medical attention. 43. Defendants failed to take reasonable measures to prevent the harm caused by such a lengthy period of solitary confinement. 44. Defendants knew Plaintiff faced a substantial risk of serious mental harm if his conditions of confinement did not meet contemporary standards of decency. 45. Defendants acted with deliberate indifference to this risk. 46. Plaintiff’s conditions of confinement amounted to punishment of a pre-trial detainee in violation of the Fourteenth Amendment to the United States Constitution. COUNT III: VIOLATION OF THE AMERICANS WITH DISABILITIES ACT 47. Plaintiff restates each of the preceding allegations as if fully stated herein. 48. plaintiff is entitled to be free from discrimination under the Americans With Disabilities Act, 42 U.S.C. § 12131 et seq. 5
  • 6. Case 1:08-cv-01185-MV-SMV Document 1 Filed 12/23/08 Page 6 of 8 49. Defendants failed to accommodate Plaintiff’s mental disability and denied him the benefits and services of the jail by reason of his mental disability. 50. Plaintiff was denied social interaction by reason of his mental disability. 51. Plaintiff was unnecessarily segregated due to his mental disability. 52. Plaintiff was denied reasonable standards of hygiene, dental and medical care due to his mental disability. 53. As a proximate and foreseeable result of Defendants’ discriminatory acts and omissions Plaintiff suffered injuries including pain and suffering, emotional distress and an exacerbation of his mental illness. COUNT IV: MUNICIPAL LIABILITY 54. Plaintiff states each of the preceding allegations as if fully stated herein. 55. Defendants Board and Barela are policy makers responsible for hiring training and supervision of its employees. 56. The policies, customs, decisions and practices of Defendants Board and Barela have created a climate within DACDC whereby the mentally ill are deprived of adequate medical care and humane conditions of incarceration. 57. Defendants Board and Barela have a policy and custom of placing inmates with mental disabilities into solitary confinement. 58. There is a causal connection between Defendants’ policies and the violation of Plaintiff’s constitutional rights with amounts to deliberate indifference. COUNT V: FALSE IMPRISONMENT UNDER THE TORT CLAIMS ACT 59. Plaintiff restates each of the preceding allegations as if fully stated herein. 6
  • 7. Case 1:08-cv-01185-MV-SMV Document 1 Filed 12/23/08 Page 7 of 8 60. Plaintiff was placed in solitary confinement in violation of his constitutional rights. 61. Plaintiff’s prolonged detention in solitary confinement was not justified or privileged under state law and therefore constituted false imprisonment. 62. The Board and DACDC Defendants are responsible to Plaintiff under the doctrine of respondeat superior for the conduct of their employees. 63. The actions of Defendants were willful, wanton and in gross and reckless disregard of Plaintiff’s rights. COUNT VI: NEGLIGENT MAINTENANCE OF A BUILDING UNDER THE TORT CLAIMS ACT 64. Plaintiff restates each of the preceding allegations as if fully stated herein. 65. Defendants know they are entrusted with the detention of large numbers of mentally ill inmates. 66. Defendants’ facility is not designed to house people with severe mental illnesses. 67. Defendants owed Plaintiff a duty of care not to house him in a manner likely to cause injury. 68. In operating DACDC Defendant chose to house Plaintiff in solitary confinement rather than in a medical facility capable of treating his illness. 69. By subjecting Plaintiff to such a long period of solitary confinement Defendants breached their duty to house Plaintiff in a reasonably prudent manner. 70. Plaintiff suffered injuries as a direct result of Defendants’ negligent conduct. 7
  • 8. Case 1:08-cv-01185-MV-SMV Document 1 Filed 12/23/08 Page 8 of 8 DAMAGES 71. As a result of the foregoing, Plaintiff has suffered damages and injuries including but no limited to, physical injuries, pain and suffering, and severe psychological and emotional distress. JURY DEMAND 72. Plaintiff hereby demands a trial by jury on all counts so triable. Wherefore, Plaintiff requests judgment as follows: 1. Compensatory damages in an as yet undetermined amount, jointly and severally against all Defendants, including damages for attorney’s fees and emotional harm. 2. Punitive damages in an as yet undetermined amount severally against the individually named Defendants. 3. Reasonable costs and attorney’s fees incurred in bringing this action. 4. Such other and further relief as the Court deems just and proper. Respectfully Submitted by, /s/Matthew Coyte MATTHEW COYTE COYTE LAW P.C. 1000 Second St. NW Albuquerque, NM 87102 Tel: (505) 244-3030 Fax: (505) 244-1406 8