Gillette v. Prosper

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Gillette, an inmate at Golden Grove Correctional Facility on St. Croix, filed suit alleging various constitutional and statutory claims relating to his medical care and failure to protect. Gillette moved the district court to convene a three-judge court under the Prison Litigation Reform Act, 18 U.S.C. 3626. The court denied Gillette’s motion, finding that he had not satisfied the prerequisites for convening a three-judge court: the party seeking a prisoner release order must show that “a court has previously entered an order for less intrusive relief that has failed to remedy the deprivation of the Federal right sought to be remedied through the prisoner release order” and that “the defendant has had a reasonable amount of time to comply. Before the court could adjudicate the merits of Gillette’s claims, he filed an appeal. The Third Circuit dismissed for lack of jurisdiction. The order denying Gillette’s motion for a three-judge court is neither a final order nor subject to any exception to the final judgment rule, View "Gillette v. Prosper" on Justia Law