Reeb v. ThomasReeb v. Thomas
OPINION
This case requires us to decide whether a district court has subject matter jurisdiction to review the Bureau of Prisons’ (“BOP”) individualized residential drug abuse program (“RDAP”) determinations, a question of first impression in this Circuit. The existence of subject matter jurisdiction is a question of law reviewed
de novo. Puri v. Gonzales,
I. Background
RDAP is an intensive drug treatment program for federal inmates with documented substance abuse problems.
On April 22, 2003, Petitioner Philip T. Reeb was convicted of possession with intent to distribute methamphetamine in violation of
II. Discussion
The APA provides a cause of action for persons “suffering legal wrong because of agency action, or adversely affected or aggrieved by agency action within the meaning of a relevant statute,”
Congress delegated to the BOP the duty to manage and regulate all federal penal and correctional institutions.
Congress specified in
There is no ambiguity in the meaning of
Reeb’s claim that he was wrongfully expelled from RDAP, as well as his request for reinstatement into RDAP and for a twelve-month reduction in his sentence, are matters properly left to the BOP’s discretion.
See Downey v. Crabtree,
Reeb contends that because the BOP did not give him proper formal warnings prior to his expulsion, the BOP has “failed to follow the law” such that this Court has jurisdiction to review his habeas claim. The formal warnings that Reeb references are those specified in Program Statement 5330.10. 2
A habeas claim cannot be sustained based solely upon the BOP’s purported violation of its own program statement because noncompliance with a BOP program statement is not a violation of federal law. Program statements are “internal agency guidelines [that] may be altered by the [BOP] at will” and that are not “subject to the rigors of the Administrative Procedure Act, including public notice and comment.”
Jacks v. Crabtree,
Facing uncertain law, and without the benefit of this Court’s ruling, the district court concluded that jurisdiction existed to review Reeb’s habeas petition. Specifically, the district court found that although
Accordingly, we hold that federal courts lack jurisdiction to review the BOP’s individualized RDAP determinations made pursuant to
VACATED and REMANDED.
Notes
. Although the BOP subsequently repealed
. The BOP subsequently repealed Program Statement 5330.10, and has now issued new policy statements governing RDAP. These new policy statements took effect on March 16, 2009, and are not retroactive. Because Program Statement 5330.10 was in effect when Reeb was expelled from RDAP, it is the relevant program statement for this case.
. Reeb also argues that
Cozine v. Crabtree,
. To the extent that Reeb alleges equal protection and due process violations, these claims must necessarily fail. As to the equal protection violation, Reeb does not present any facts demonstrating that he was treated differently from others who were similarly situated to him.
See McLean v. Crabtree,
. Myriad cases examine the validity of BOP regulations and determinations.
See, e.g., Lopez v. Davis,