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Stirling v. Hendrix, OR, Petitioner's Status Report, Prison Conditions, 2021

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Case 3:20-cv-00712-SB

Document 89

Filed 10/08/21

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Lisa Hay, OSB #980628
Federal Public Defender
101 S.W. Main Street, Suite 1700
Portland, Oregon 97204
Tel: (503) 326-2123
Fax: (503) 326-5524
lisa_hay@fd.org
Attorney for Petitioner

IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF OREGON
Case No. 3:20-cv-00712-SB

JOHN PHILIP STIRLING,
Petitioner,

PETITIONERS’ STATUS
REPORT OF OCTOBER 8, 2021

v.
DEWAYNE HENDRIX, Warden,
FCI Sheridan,
Respondent.
This status report is submitted to update the Court with the petitioners’ view of conditions
witnessed during the court-ordered inspection of the Sheridan FCI, which occurred on Friday,
September 17, 2021. The report is supported by three Exhibits: Exhibit 1 – Report of FPD Chief
Investigator William Teesdale on Conditions Witnessed at FCI Sheridan1 and Exhibit 2 – Fourth
Declaration of Investigator Courtney Withycombe, regarding statements from inmates at Sheridan.

1

Because the BOP did not consent to public disclosure of many of the photographs in the report,
the photographs in the report are redacted, and a full version is filed under seal with the Court. One photo
approved for publication is included below.
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Last, in light of the Court’s direction to continue working with the Respondent in order to address
individual medical issues, Exhibit 3 provides recent correspondence describing urgent medical
issues at Sheridan and the BOP’s response, denying assistance.
In summary, the inspection corroborated the dismal conditions described by inmates at
Sheridan that are resulting in widespread distress and harm. In particular, Sheridan lacks an
adequate plan to care for those who are ill with COVID-19, resulting in either the overcrowded,
unsafe detention of ill inmates in a gymnasium, or the locking of ill inmates into cells where they
may spend up to 60 hours straight without medical attention. Further, the effect of Sheridan’s
general response to the coronavirus pandemic – which is to lock inmates into their cells for
extended periods to prevent transmission – was sickeningly, hauntingly evident. Hallway after
hallway of locked doors; empty outside areas; closed programming spaces; inmates calling out
through the crack at the seam of their door, begging for a shower, or for medical care, or just to be
let out. It is hard to capture in writing either the fear and desperation that permeated the inmate
encounters, or the contrasting equanimity of the staff, who seemed inured to the suffering going
on around them.
Petitioners intend to submit discovery requests to the Respondents as soon as possible, but
no later than October 29, 2021. The government did not provide an anticipated response date. The
briefing schedule should be set after the government’s response to the discovery requests, and after
any evidentiary hearing if needed.

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Document 89

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COVID OUTBREAK
As shown in the graph below, Sheridan is experiencing its worst COVID-19 outbreak to
date. According to information provided by the government in this lawsuit, two inmates were
hospitalized last month with COVID-19, and at least 102 inmates were ill with COVID-19.

Outbreak 4
8/9 - ; 53 days as of 10/1
Peak: 97 cases
(102 per Sheridan)

100

Outbreak 2
12/18 - 2/22; 67 days
Peak: 41 cases

\

Outbreak 1
40

8/29 - 9/17; 20 days
Peak: 5 cases

\

20

7/4/1.0'20

8/4/202.0

9/4/20'20

10/4/2020

-

.

Outbreak 3
6/3 - 7/7; 35 days
Peak: 33 cases

~

11/4/202.0

4/4/1.021

.

'l

5/4/1021

'I

6/4/l.021

7/4/1.021

Outbreaks at FCI Sheridan

The government’s most recent information from October 1, 2021, indicates that the number
of ill inmates has decreased to 61, which still exceeds the peak number of sick inmates in the prior
three outbreaks.
COVID ISOLATION MEASURES
As detailed in the Teesdale Report (Ex. 1), Sheridan has isolated inmates who are ill with
COVID-19 by placing them into locked cells, in the SHU, in unit J3 of the FDC, or in a gymnasium
at the FCI. The photograph below shows the gymnasium with COVID-19 patients in midSeptember, just prior to the inspection:

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FCI Sheridan Gym Prior to Inspection, Government Discovery USA000011 – Blur added.
As accurately described in many inmate messages, the inspection revealed that the
gymnasium was not equipped to house the 60 sick inmates who were placed there. There were
only two toilets and one shower (a converted mop closet) for this large number of people. The
bathroom facilities were not easily accessible for those having difficulty walking. Further, the only
reliably available drinking water was from the single sink in the bathroom, which was also used
for handwashing. When the inspection team was present, two large, empty Gatorade water
containers sat outside the gymnasium. Staff explained that these were ordinarily full of water and
available for the inmates in the gymnasium. There were no cups visible. Inmates later stated that
the water was not replenished, and that these containers had appeared right before the inspection.

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Because medical staff are not on-site over the weekend, inmates who are ill with COVID19 are not medically monitored for the over 60 hours between 5 p.m. on Fridays and approximately
7 a.m. on Mondays when weekday staff return.
LACK OF ACCESS TO MEDICAL CARE
As documented in the Teesdale Report (Ex. 1) and the Withycombe Declaration (Ex. 2),
inmates reported significant difficulties in obtaining needed medical care. The inspection revealed
that Sheridan FCI appeared well-equipped with medical equipment, pharmaceutical supplies, and
a dental procedures room, but inmates did not have access to these services. As the government
pleadings indicate, in order to access medical care, inmates must submit a written request to the
staff, and those requests are gathered up just 4 times per week (“Staff collect Inmate Request to
Staff Forms at the lunch mainline on the following days: Monday, Tuesday, Thursday, and
Friday.”) (ECF 77, p. 2). Inmates report that they receive no responses to their many requests, and
that urgent medical conditions go untreated. The BOP declined to respond to requests submitted
by counsel on behalf of inmates (Ex. 3).
Several inmates approached or called out to the inspection team to describe untreated
medical issues, as documented in the Teesdale Report. Because neither staff nor inmates could be
interviewed during the inspection, the lack of access questions could not be answered through the
tour. Discovery requests will be aimed at identifying the access issues. As detailed in the
Withycombe Declaration, however, dozens upon dozens of inmates complain of an inhumane level
of medical neglect.
COVID PREVENTION MEASURES
The primary methods to prevent a worsening pandemic at Sheridan appear to be
vaccinations for inmates and staff, testing for COVID-19 at unknown intervals, and locking
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inmates in their cells for entire days or stretches of days. The government’s most recent reports
indicate that as of October 1, Sheridan had administered 1,227 vaccinations to inmates. The
population as of October 1 was 1,553 inmates. Because some of the inmates who received
vaccinations have since left Sheridan, the vaccination rate is likely lower than the 79% these
figures would indicate. As of October 1, 2021, 197 staff had been vaccinated. In April, responses
to discovery the government reported 317 staff at Sheridan, which would indicate a vaccination
rate of 62%.
As described in Exhibits 1 and 2, the lockdown measures seen in effect at Sheridan during
the inspection allowed inmates out of their cells only 15 minutes per day. Inmates were visibly
distraught and traumatized by the degree of restriction they were experiencing. Slightly less harsh
periods of lockdown have been in effect ever since April of 2020, when two weeks of complete
lockdown were ordered, followed by periods of up to four hours out of cells. The Report of
Dr. Grassian (ECF 72-2) describes the adverse effects that such conditions of confinement have
for the inmates.
CONCLUSION
The inspection of Sheridan FCI corroborated inmate accounts of inhumane conditions.
After receiving additional discovery, petitioners intend to supplement their request for habeas
corpus relief.
Respectfully submitted on October 8, 2021.
/s/ Lisa Hay
Lisa Hay
Attorney for Petitioners

PAGE 6. PETITIONERS’ STATUS REPORT OF OCTOBER 8, 2021