Rimmer-Bey v. BrownRimmer-Bey v. Brown
Plaintiff, a prisoner in the Michigan state prison system, brought suit under
The events giving rise to plaintiffs complaint are as follows. On October 15, 1987, Bey was an inmate in the general prison population at the Jackson state prison, serving four concurrent life sentences for murder and armed robbery. On that day, Correctional Officer Robert Wright was stabbed twice in the base of the neck by two hooded inmates. State law enforcement officials conducted a criminal investigation, and MDOC officials conducted an internal prison investigation of the incident. A prisoner informant identified plaintiff as one of the parties who was involved in the planning and commission of the assault. Pursuant to prison regulations, Bey was charged with a major prison misconduct, conspiracy to commit assault and battery.
Bey received a hearing before prison officials on his major misconduct charge and was found guilty of conspiracy to commit assault and battery. He was sentenced to 30 days punitive detention, which was the maximum period of punitive detention allowed under Michigan regulations.
Bey’s arguments are without merit for two reasons. First, Bey relies solely upon the mandatory language of Michigan prison regulations concerning placement into administrative segregation to support his claim of a liberty interest. However, the Supreme Court in Sandin v. Conner, — U.S.-,
Furthermore, even if plaintiff had possessed a state-created liberty interest, he received the procedural protections required by the Due Process Clause. The procedure to classify a prisoner into administrative segregation under Michigan prison regulations requires notice of the intended reclassification and, in most cases, a hearing.
Accordingly, the decision of the district court is AFFIRMED in all respects.
Notes
. Bey was also charged as an accomplice to assault and batteiy, but prison officials dismissed that charge as duplicative.
. Unlike detention, which is imposed as a form of punishment, administrative segregation is used as a method to physically separate from the general population those prisoners who for certain reasons cannot be placed in the general prison population. Under Michigan regulations, segregation may only be imposed for the following reasons:
(a) the prisoner demonstrates an inability to be managed with general population privileges;
(b) the prisoner needs protection from other prisoners;
(c) the prisoner is a serious threat to the physical safety of staff or other prisoners or to the good order of the facility;
(d) the prisoner is an escape risk; or
(e) the prisoner is under investigation by outside authorities for suspected felonious behavior.
. In Sandin, the Supreme Court concluded that confinement in disciplinary segregation for 23 hours and 10 minutes per day "did not present the type of atypical, significant deprivation in which a state might conceivably create a liberty interest.” Sandin,-U.S. at-,
. Plaintiff also asserted violations of his substantive due process rights. A plaintiff asserting a substantive due process claim faces a virtually insurmountable uphill struggle. He must show that the government conduct in question was so reprehensible as to "shock the conscience” of the court. Rochin v. California,