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, abuse and harassment. 26 38. During this time period, Plaintiff LUCAS repeatedly 27 asked prison personnel, including Defendant SAMUELS to stop 28 672\1\PLEADING\ COMPLT-7.815 AMENDED COMPLAINT ...
reporting of protected activity of misfeasance, malfeasance and or gross misconduct by Defendant, with no corrective action taken by Defendant with respect to the training abuse, specifically but not limited ...
assaults, intimidation, physical, 5 sexual and verbal abuse, threats of violence, sexual harassment, 6 invasions of privacy, and other violations of law by Defendants, 7 and were retaliated against ...
Case • 1993
Cir. 1979). [**8] Defendants also contend that there is no legal requirement that disrespectful or abusive comments be made directly to an individual for those comments to be a valid subject ...
Brief • October 4, 2013
Filed under: Evidence, Witnesses
that Marion County, through the actions of its employees Defendants Rejaian, Bernards, Stutrud, and Burnham, violated Oregon's law that prohibits physical abuse of vulnerable people. Defendant Marion County ...
Brief • January 23, 2006
for over 7 hours over the course of two days, and exploring all possible issues related to the abuse she suffered, and her potential damages. In addition, the Defendants have taken the depositions 5 of 6 ...
Brief • October 14, 2014
Filed under: Staff-Prisoner Assault
penological purpose can be inferred from the defendant’s alleged conduct, the abuse itself may be sufficient evidence of a defendant’s culpable state of mind. Hogan v. Fischer, 738 F.3d 509, 516 (2d Cir. 2013 ...
, and outrageous conduct of all Defendants, acting under color o= t~e state law, included, inter alia, the following: a) Harassing, threatening, physically abusing, beating and/or assaulting Mr. Sander-_s_; b ...
Brief • 2004
at the discretion of defendant Lester Wright, Chief Medical Officer for defendant Department of Correctional Services, enroll and participate in substance abuse programming to qualify for antiviral therapy. As shown ...
Brief • October 30, 2004
at the discretion of defendant Lester Wright, Chief Medical Officer for defendant Department of Correctional Services, enroll and participate in substance abuse programming to qualify for antiviral therapy. As shown ...
Brief
at the discretion of defendant Lester Wright, Chief Medical Officer for defendant Department of Correctional Services, enroll and participate in substance abuse programming to qualify for antiviral therapy. As shown ...
Brief • February 16, 2006
18 remained in that public office to the present. 19 9. Defendant CAROL DARLING (hereafter “C. DARLING”) was employed 20 by the COUNTY District Attorney’s Office as its Sexual Abuse Program ...
Brief • 2006
in the denial of treatment to Mr. Hilton and Mr. Vasquez. Defendants’ Hepatitis C Protocol 9. There are two prison-run alcohol and substance abuse treatment programs that are maintained by DOCS: ASAT, which ...
Brief • May 25, 2017
to deter corruption,and his ability to root ~~ out savage abuse and the corru?t culture left intact by defendant Baca,this policy 23 also undermines the Constitutional rights of plaintiff,because ...
Article • November 15, 2009 • from PLN November, 2009
. The central goal of the lawsuit was to force reforms on the prison system; how-ever, five individual defendants also sought monetary damages for the sexual abuse they suffered. The lawsuit resulted ...
Case • 2001
, the defendants argue that the State of Wisconsin has not delegated to WCA the power to perform the tasks it claims to have the power to perform, such as the power to investigate claims of abuse and neglect ...
Tenth Circuit Upholds BOP Guard’s Abuse Convictions by Tenth Circuit Upholds BOP Guard's Abuse Convictions The Tenth Circuit Court of Appeals affirmed the convictions and sentences of three ...
Case • 2003
a child abuser without first affording him a due process hearing. *fn2 The defendants raised their qualified immunity defense in a joint motion to dismiss the plaintiff's complaint; they asserted ...
Brief • May 29, 2018
Filed under: Sexual Assault
, and was subsequently threatened, abused and sexually assaulted by Defendant Dunn. Plaintiff has suffered severe physical and emotional trauma due the actions of all Defendants. 2. Plaintiff brings this action pursuant ...
Brief • April 29, 2014
@aclunc.org mdavis@aclunc.org 9 JAMES EGAR — 065702 10 Public Defender DONALD E. LANDIS, JR. — 149006 11 Assistant Public Defender OFFICE OF THE PUBLIC DEFENDER 12 COUNTY OF MONTEREY 111 West Alisal Street 13 ...
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