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Brief • November 28, 2017
and every day: communicate important information about its citizens on state-issued IDs. See id. We thus conclude that the license requirement is not an aberrational law indicative of hostile lawmaking ...
Brief • May 29, 2015
and there is no contraindication for prescribing them to Plaintiff 11. Defendant BOP agrees to provide psychological treatment consistent with the community standards of care for gender dysphoria, post-traumatic stress disorder ...
Brief • October 27, 2016
is distinguishable from the danger posed by the dog in this case. In Andrews, the officer shot and killed a dog while it was in a fenced back yard and posed no risk to the officer or community. Andrews, 454 F.3d ...
Brief • February 12, 2020
constitute violations of HRDC’s right to communicate with incarcerated individuals under the Free Speech Clause of the First Amendment. 36. The conduct of Defendants was objectively unreasonable ...
Brief • September 17, 2009
. 2. City of Dallas State of Texas and others resulting from his incarceration (hereinafter referred to as "the Claims."). The Client agrees to cease all communication with all third pmiies regarding ...
Brief • November 17, 2011
to FDOC inmate subscribers. As such, Rule § 33-501.401(3), F.A.C., substantially chills Plaintiff’s ability to communicate with its inmate subscribers, and violates Plaintiff’s rights under the First ...
Filing • March 10, 2016
to FDOC inmate subscribers. As such, Rule § 33-501.401(3), F.A.C., substantially chills Plaintiff’s ability to communicate with its inmate subscribers, and violates Plaintiff’s rights under the First ...
In-the-News Article • June 21, 2018
to their homes, communities and schools,” states Melissa Duncan, supervising attorney of the Legal Aid Society of Palm Beach County’s Education Advocacy Project. “Currently ...
Filing • January 25, 2018
Filed under: PLN Litigation, Censorship
Angeles County Claims Board and the Los Angeles County Board of Supervisors have formally approved this Agreement and such formal approval has been communicated to counsel for HRDC. HRDC's counsel shall ...
Filing • July 19, 2021
through 34 of the Complaint as if fully set forth herein. 36. The acts described above constitute violations of HRDC’s right to communicate with incarcerated individuals under the Free Speech Clause ...
Filing • November 26, 2014
of prisoners confined at New Castle, under the First Amendment to the United States Constitution. 31. Plaintiff has a constitutionally protected liberty interest in communicating with incarcerated individuals ...
In-the-News Article • October 2, 2016
are mischievous." It's a common attitude among local officials, said Mary Sidney Harbert, senior investigator at the Southern Center for Human Rights in Atlanta. "I don't know of any community ...
In-the-News Article • March 24, 2017
that the visitation reduction is intended to cut costs and to align maximum-security policy with medium-security facilities. All told, it would save the state Department of Corrections and Community Supervision (DOCCS ...
Filing • October 24, 2018
of HRDC’s right to communicate with incarcerated individuals under the Free Speech Clause of the First Amendment. 37. The conduct of Defendants was objectively unreasonable and was undertaken recklessly ...
Filing • February 12, 2020
to communicate with incarcerated individuals under the Free Speech Clause of the First Amendment. 36. The conduct of Defendants was objectively unreasonable and was undertaken recklessly, intentionally ...
Filing • February 12, 2020
constitute violations of HRDC’s right to communicate with incarcerated individuals under the Free Speech Clause of the First Amendment. 36. The conduct of Defendants was objectively unreasonable ...
Brief • December 23, 2009
Communication Form (kyte) to Medical Services Manager Karen Ireland regarding the Ensure. Ms. Ireland did nothing for plaintiff other than explain that Dr. Snider has the authority to change N.P. Sanudo's orders ...
Brief • July 31, 2009
AND MEMO FOR SUMMARY JUDGMENT 3 II! BRANCHES LAW, PLLC Joan K. Mell 1033 Regents Blvd. Ste. 101 Fircrest, WA 98466 joan@3brancheslaw.com 253-566-2510 ph 281-664-4643 fx I 2 3 the walls, communications ...
Brief • January 22, 2010
such fees paid (if any), and will seek to enjoin future collection of this tax, assessment or fee. CCA has engaged in extensive communications with Law Director Guglucello regarding it's concerns with both ...
and serving as ambassadors for NCPLS to the broader community. It simply would not be possible for NPCLS to operate without their selfless service. Page 3 NCPLS ACCESS Page 4 Volume VII, Issue 4, December ...
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