Vincent MORELLO, Plaintiff-Appellant,
v.
Chаrles JAMES, J. Nowakawski, Correction Officer, and Thomas
A. Coughlin, Commissioner of the New York State
Department of Correctional Services,
Defendants-Appellees.
Vincent MORELLO, Plaintiff-Appellant,
v.
Harold J. SMITH, Superintendent, Thomas A. Coughlin, and
Unknown Correctional Officers, Defendants-Appellees.
No. 183, Docket 86-2106.
United States Court of Appeals,
Second Circuit.
Argued Oct. 28, 1986.
Decided Jan. 26, 1987.
Thomas J. Moloney, New York City (Mitchell A. Lowenthal, Cleary, Gottlieb, Steen & Hamilton, New York City, of counsel), for plaintiff-appellant.
Peter G. Crary, Asst. Atty. Gen., Albany, N.Y. (Robert Abrams, Atty. Gen., Peter H. Schiff, Deputy Sol. Gen., Nancy A. Spiegel, Asst. Atty. Gеn., Albany, N.Y., of counsel), for defendants-appellees.
Before MESKILL, MINER and ALTIMARI, Circuit Judges.
MESKILL, Circuit Judge:
Vincent Morello appeals from two judgments of the United States District Court for the Western District of New York, Telesca, J., dismissing his civil rights claims brought under 42 U.S.C. Sec. 1983 (1982) for failure to state a claim upon which relief can be granted, Fed.R.Civ.P. 12(b)(6). Morello complained that New York state prison officials violated his constitutional right of access to the courts by intentionally and selectively taking the pro se legal materials that he had prepared for his state court appeal of his criminal convictions. The district court decided that, even if the facts alleged by Morello were sufficient to support a claim of substantive due process violation, the opinion in Love v. Coughlin,
BACKGROUND
We adopt the district court's succinct statement of the facts, which accepts as true Morello's account of events:
In the early morning of November 6, 1983, while Morello was incarcerated at the Collins Correctional Facility, he completed work on a brief for an appeal he had pending before the Appellate Division of the New York Supreme Court, Fourth Department. Later that day, before his appellate brief could be notarized, Morello was segrеgated from the general population and placed in confinement. All of his property was "packed up," and placed in another room by Corrections Officer Nowakawski.
The following day, Morello was transferred to the Attica Correctional Facility. He did not receive any of his personal belongings until six days later, on November 13, 1983. When Morello's property was finally turned over to him, two of his eleven legal folders were missing. At some point during his transfer from Collins to Attica, Morello alleges that аs yet unidentified correctional officers searched his bags, and arbitrarily stole various items of his personal property, including his appellate briefs and records of a phone call made by his attorney to the Niagara Falls police. Alsо taken were all of his notes, research materials, and rough draft worksheets. Morello alleges that the loss caused him irreparable harm in perfecting his appeal, since he had received legal assistance in the preparatiоn of his appellate brief that could not be replaced.
Morello's complaint, brought pursuant to 42 U.S.C. Sec. 1983, seeks punitive and compensatory damages, as well as other appropriate relief, for the "theft and removal" of his appellate pro se brief and research.
Morello v. James,
Although Morello has since obtained legal assistance, he brоught his section 1983 complaint pro se before the district court and received a liberal construction of his pleadings as required by Hughes v. Rowe,
In Pаrratt, prison officials negligently lost a prisoner's hobby materials worth $23.50. The Supreme Court reviewed the prisoner's section 1983 claim that he was deprived of personal property without due process of law and held that, although there had been a negligent deprivation, " 'the existence of an adequate state remedy ... avoids the conclusion that there has been any constitutional deprivation of property without due process of law within the meaning of the Fourteenth Amendment.' "
In Love, wе affirmed the rejection of a section 1983 claim based on an allegation that state officials had lost some of the prisoner's personal property, including certain legal materials.
DISCUSSION
We have no doubt that Morello's complaint, as interpreted by the district court, describes an unconstitutional denial of Morello's right of access to the courts. Bounds v. Smith,
Where a prisoner chooses to proceed pro se with his appeal, the state is required to provide affirmative assistance in the form of adequate law libraries or trained legal assistance, Bounds,
Having so concluded, we turn to the protections available to Morello. The issue is whether the rule of Parratt and the еxistence of an adequate state remedy foreclose section 1983 claims that are based on substantive rather than procedural violations of constitutional rights.
At the outset, we note that the basic rule of Parratt was not disturbed by the subsequent holding in Dаniels that negligence cannot form the predicate for a section 1983 claim.2 In the case before us, Morello claims that the theft of his legal materials was deliberate, not negligent. Daniels, therefore, does not apply.
Parratt reaffirms the Supreme Court's concern that section 1983 not be made a vehicle for transforming mere civil tort claims into constitutional injuries.
On the other hand, intentional obstruction of a prisoner's access to the courts is precisely the sort of oppression that the Fourteenth Amendment and section 1983 are intended to remedy. Parratt,
Intentional, substantive violations of constitutional rights are not subject to the rule of Parratt. See McClary v. O'Hare,
To the extent that the district court in this case relied on the abbreviated discussion of substantive rights in Love, the court was mistaken. Love clearly dealt with a procedural due process violation actually pleaded by the plaintiff and not with an intentional violation of Love's substantive right of access to the courts.
The judgments of the district court are reversed and the case is remanded for further proceedings.
Notes
In Daniels v. Williams,
Because Love was decided before Daniels, the question of the sufficiency of Love's negligence-based claim never arose. Morello's claim that the theft of his legal papers was intended to deprive him of access to the courts also distinguishes this case from Love
