ORDER
Edsel Love appeals a district court order dismissing his civil rights action filed under 42 U.S.C. § 1983. The case has been referred to a panel of the court pursuant to Rule 34(j)(l), Rules of the Sixth Circuit. Upon examination, this panel unanimously agrees that oral argument is not needed. Fed. R.App. P. 34(a).
Love sued numerous Ohio correctional officials and medical personnel, alleging that they were deliberately indifferent to his serious medical needs in violation of his Eighth Amendment rights. The district court concluded that Love’s claims were without merit and dismissed the case. Love has filed a timely appeal.
Upon review, we conclude that the district court properly dismissed Love’s case because it failed to state a claim. This court reviews de novo a district court order dismissing a suit for failure to state a claim under 28 U.S.C. § 1915A(b). Brown v. Bargery,
Love has not set forth sufficient facts that would entitle him to relief. Love asserts that, although his prison
Love has not set forth sufficient facts demonstrating that the defendants were deliberately indifferent to his serious medical needs. In essence, Love is arguing that the defendants violated his Eighth Amendment rights by delaying the proper diagnosis and treatment of his hepatitis. For an Eighth Amendment claim based on an alleged delay in treatment, the prisoner must place verifying medical evidence in the record establishing the detrimental effect of the delay. Napier v. Madison County, Ky.,
Accordingly, this court affirms the district court’s judgment. Rule 34(j)(2)(C), Rules of the Sixth Circuit.
