MILAN JAMES BROWN, Plаintiff-Appellant, v. THOMAS J. DART and COOK COUNTY, ILLINOIS, Defendants-Appellees.
No. 16-4179
United States Court of Appeals For the Seventh Circuit
ARGUED SEPTEMBER 20, 2017 — DECIDED DECEMBER 5, 2017
Before MANION and KANNE, Circuit Judges, and MILLER, District Judge.
Appeal from the United States District Court for the Northern District of Illinois, Eastern Division. No. 15 C 11835 — Edmond E. Chang, Judge.
On December 16, 2013, the petition was finally heard. The Illinois circuit court determined Brown should have been released in September and immediately relеased him on a $50,000 bond. On January 17, 2014, the court released the bond.
On December 30, 2015, Brown filed a
I. ANALYSIS
The parties agree that Brown was to be released from the Cook County Jail on September 12, 2013, and that he was not in fact released from the jail until December 16, 2013. The only issue before this court is whether Brown‘s
The statute of limitations to bring a claim under
In Wallace v. Kato, the Supreme Court held that the statute of limitations for a false imprisonment claim begins when the false imprisonment ends. 549 U.S. at 389. Brown‘s alleged false imprisonmеnt ended when the court released him from the jail. To the extent Brown‘s liberties were restricted while he was rеleased on bond, the court, not the sheriff‘s department, was responsible for those restrictions. Thus, Brown‘s claim against the sheriff and the county accrued—and the two-year statute of limitations began to run—on December 16, 2013. Brown‘s petition, filed two weeks beyond the statute of limitations, was untimely.
Neither of Brown‘s arguments to the cоntrary are convincing. Brown offers two reasons for why January 17, 2014, should be considered the day the false imprisоnment ended and his claim accrued.
First, Brown claims that the time he spent released on bond was a continuation of the false imprisonment. Brown alleges that, as a condition of the bond, he was not allowed to
Second, Brown argues that his claim could not accrue until the сourt had corrected his release date. In Heck v. Humphrey, the Supreme Court addressed whether a plaintiff could file a
II. CONCLUSION
Without doubt, Milan Brown should have been released from the Cook County Jail mоnths before he was actually released. The allegations that jail staff failed to transport Brown to court for a timely hearing on his habeas corpus petition are deeply troubling. Unfortunately, however, Brown failed to file a timely claim for damages resulting from the failure to release him on time. Therefore, we AFFIRM the district court‘s grant of judgment on the pleadings in favor of the defendants.
