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Michael Garrett v. William Stephens
675 F. App'x 444
5th Cir.
2017
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Background

  • Plaintiff Michael Garrett, a Texas prisoner, sued under 42 U.S.C. § 1983 alleging disciplinary charges, property confiscation, retaliation, and constitutional violations by prison employees including Candace Moore and former TDCJ director William Stephens.
  • District court dismissed Garrett’s complaint as frivolous and for failure to state a claim under 28 U.S.C. §§ 1915A and 1915(e)(2)(B).
  • Garrett alleged retaliation for filing grievances and attempting to add Moore as a defendant in another suit; he also alleged due-process violations at a disciplinary hearing and RLUIPA/free-exercise injury from seizure of religious items.
  • Garrett asserted deprivation of property without procedural due process and sought to sue defendants in official and individual capacities; he also named Texas AG Ken Paxton based on a TDCJ memorandum.
  • The Fifth Circuit reviewed the dismissal de novo and affirmed, concluding many claims lacked legal basis or factual support and noting Texas post-deprivation remedies were adequate.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Eighth Amendment claim for property confiscation Confiscation was cruel and unusual Dismissal as not an Eighth Amendment violation Abandoned by plaintiff on appeal; not considered
Retaliation (disciplinary charges/property seizure) Moore acted in retaliation for grievances and Garrett’s attempt to add her in another suit Heck bar and lack of adequate pleading/evidence Garrett failed to address Heck; claim treated as abandoned/futile
Due process at disciplinary hearing Officer denied right to call witnesses and present evidence Record shows Wolff requirements satisfied Dismissal upheld as claim not facially plausible under Iqbal
RLUIPA / Free exercise (seizure of religious items) Seizure forced modification of religious practices Seizure was part of criminal/disciplinary investigation, not under a neutral policy Dismissal affirmed for failure to allege a government policy/regulation under RLUIPA
Procedural due process for property deprivation (Parratt/Hudson) State actor deprived Garrett of property without process Parratt/Hudson: random/unauthorized acts require adequate post-deprivation state remedy; Texas conversion tort suffices Dismissal affirmed; state tort remedies adequate so § 1983 claim fails
Access-to-courts claim Seizure impaired Garrett’s ability to pursue legal claims Garrett has filed multiple suits/appeals; no evidence of denial Dismissal affirmed for lack of evidence of actual injury
Official-capacity damages / supervisory liability Should be able to sue defendants in individual capacities; Stephens deliberately ignored grievances District court only barred official-capacity damages under Eleventh Amendment; grievance denial not a constitutional harm; no evidence Stephens caused retaliation No error: official-capacity monetary suit barred; no § 1983 supervisory liability shown
Claim against AG Paxton based on memorandum Memorandum authorized disciplinary action and caused retaliation Memorandum was explanatory; no causal link to Moore’s acts Dismissal for failure to state a claim and/or as frivolous

Key Cases Cited

  • Geiger v. Jowers, 404 F.3d 371 (5th Cir.) (standard for review of prisoner § 1983 dismissals)
  • Heck v. Humphrey, 512 U.S. 477 (1994) (limitations on § 1983 claims that would imply invalidity of outstanding criminal judgment)
  • Wolff v. McDonnell, 418 U.S. 539 (1974) (due-process protections for prison disciplinary proceedings)
  • Ashcroft v. Iqbal, 556 U.S. 662 (2009) (pleading standard requiring plausible claims)
  • Adkins v. Kaspar, 393 F.3d 559 (5th Cir.) (RLUIPA requires challenge to policy or regulation)
  • Parratt v. Taylor, 451 U.S. 527 (1981) (state must provide post-deprivation remedy for random unauthorized deprivations)
  • Hudson v. Palmer, 468 U.S. 517 (1984) (limitations on § 1983 for unauthorized intentional deprivations when adequate state remedy exists)
  • Murphy v. Collins, 26 F.3d 541 (5th Cir.) (Texas conversion tort provides adequate post-deprivation remedy)

(Disposition: judgment affirmed; dismissal counts as a § 1915(g) strike.)

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Case Details

Case Name: Michael Garrett v. William Stephens
Court Name: Court of Appeals for the Fifth Circuit
Date Published: Jan 12, 2017
Citation: 675 F. App'x 444
Docket Number: 16-40354 Summary Calendar
Court Abbreviation: 5th Cir.