Prison Legal News v. County of Los Angeles, CA, Complaint, Jail Censorship, 2017
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Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 1 of 32 Page ID #:1 1 SANFORD JAY ROSEN – 062566 JEFFREY L. BORNSTEIN – 099358 2 CHRISTOPHER HU – 293052 ROSEN BIEN GALVAN & GRUNFELD LLP 3 50 Fremont Street, 19th Floor San Francisco, California 94105-2235 4 Telephone: (415) 433-6830 Facsimile: (415) 433-7104 srosen@rbgg.com 5 Email: jbornstein@rbgg.com chu@rbgg.com 6 7 BRIAN A. VOGEL – 167413 LAW OFFICES OF BRIAN A. VOGEL, PC 8 770 County Square Drive, Suite 104 Ventura, CA 93003 9 Telephone: (805) 654-0400 Facsimile: (805) 654-0326 brian@bvogel.com 10 Email: 11 SABARISH NEELAKANTA – Fla. Bar No. 26623* MASIMBA MUTAMBA – Fla. Bar No. 102772* 12 DANIEL MARSHALL – Fla. Bar No. 617210* HUMAN RIGHTS DEFENSE CENTER 13 P.O. Box 1151 Lake Worth, Florida 33460 14 Telephone: (561) 360-2523 Email: sneelakanta@hrdc-law.org mmutamba@hrdc-law.org 15 dmarshall@hrdc-law.org 16 *Pro hac vice applications to be filed 17 Attorneys for Plaintiff 18 19 UNITED STATES DISTRICT COURT 20 CENTRAL DISTRICT OF CALIFORNIA, WESTERN DIVISION 21 22 HUMAN RIGHTS DEFENSE CENTER, Plaintiff, 23 24 v. 25 COUNTY OF LOS ANGELES; JIM MCDONNELL, Sheriff, Los Angeles 26 County; NEAL TYLER, Executive Officer, Los Angeles County Sheriff’s 27 Department; KELLY HARRINGTON, Assistant Sheriff, Los Angeles County; 28 JOANNE SHARP, Custody Services [3138846.5] Case No. COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES UNDER THE CIVIL RIGHTS ACT, 42 U.S.C. § 1983, CALIFORNIA CIVIL CODE § 52.1, AND THE CALIFORNIA CONSTITUTION JURY TRIAL DEMANDED COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 2 of 32 Page ID #:2 1 Division Chief, Los Angeles County Sheriff’s Department; KEVIN HEBERT, 2 Custody Services Commander, Los Angeles County Sheriff’s Department; 3 ROOSEVELT JOHNSON, Custody Services Commander, Los Angeles 4 County Sheriff’s Department; KEVIN KUYKENDALL, Custody Services 5 Commander, Los Angeles County Sheriff’s Department; ERIC PARRA, 6 Division Chief, Los Angeles County Sheriff’s Department; ELIER 7 MOREJON, Captain, Los Angeles County Sheriff’s Department; DANIEL 8 DYER, Commander, Los Angeles County Sheriff’s Department; ANA 9 BRACKPOOL, Captain, Los Angeles County Sheriff’s Department; AGUSTIN 10 DEL VALLE, Captain, Los Angeles County Sheriff’s Department, in their 11 individual and official capacities; TERRI MCDONALD, in her individual capacity; 12 and DOES 1-10, in their individual and official capacities, 13 Defendants. 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 [3138846.5] 2 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 3 of 32 Page ID #:3 1 2 INTRODUCTION Plaintiff HUMAN RIGHTS DEFENSE CENTER (“HRDC” or “Plaintiff”) 3 brings this action to enjoin censorship of its publications and other correspondence 4 mailed by its publishing project Prison Legal News to prisoners held in Defendants’ 5 custody at Los Angeles County’s Men’s Central Jail (“Men’s Central Jail”). 6 Defendants’ mail policies and practices unconstitutionally prohibit delivery of 7 Plaintiff’s magazines and enveloped mail to prisoners housed both in the Men’s 8 Central Jail’s general population and in the restrictive housing unit known as “K-10” 9 in violation of the First Amendment to the United States Constitution. Defendants’ 10 policies and practices also deny due process of law to senders, like Plaintiff, by 11 failing to provide notice of and an opportunity to challenge each instance of 12 censorship as required by the Fourteenth Amendment to the United States 13 Constitution. In addition, Defendants’ policies and practices violate the Bane Act 14 (Cal. Civ. Code § 52.1) and the California Constitution. 15 16 JURISDICTION AND VENUE 1. This action is brought pursuant to 28 U.S.C. § 1331 (federal question), 17 as this action arises under the Constitution and laws of the United States, and 18 pursuant to 28 U.S.C. § 1343 (civil rights), as this action seeks redress for civil 19 rights violations under 42 U.S.C. § 1983. 20 2. Venue is proper under 28 U.S.C. § 1391(b). On information and belief, 21 at least one Defendant resides within this judicial district, and the events giving rise 22 to the claims asserted herein all occurred within this judicial district. 23 3. Plaintiff’s claims for relief under federal law are predicated upon 42 24 U.S.C. § 1983, which authorizes actions to redress the deprivation, under color of 25 state law, of rights, privileges and immunities secured to the Plaintiff by the First, 26 Fifth, and Fourteenth Amendments to the U.S. Constitution and laws of the United 27 States. 28 [3138846.5] 4. Plaintiff’s claims for relief under state law are predicated upon the 1 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 4 of 32 Page ID #:4 1 Bane Act (Cal. Civ. Code § 52.1), which authorizes actions to protect the exercise or 2 enjoyment of rights secured under federal or California law, as well as upon the 3 direct causes of action to enforce constitutional rights guaranteed under article I, 4 section 2 of the California Constitution, and article I, section 7 of the California 5 Constitution. 6 5. This Court has jurisdiction over claims seeking declaratory and 7 injunctive relief pursuant to 28 U.S.C. §§ 2201 and 2202, and Rules 57 and 65 of the 8 Federal Rules of Civil Procedure, as well as nominal and compensatory damages, 9 against all Defendants. 10 6. Plaintiff’s claim for attorneys’ fees and costs under federal law is 11 predicated upon 42 U.S.C. § 1988, which authorizes the award of attorneys’ fees 12 and costs to prevailing plaintiffs in actions brought pursuant to 42 U.S.C. § 1983. 13 7. Plaintiff’s claim for attorneys’ fees and costs under state law is 14 predicated upon California Civil Code § 52.1, which authorizes the award of 15 attorneys’ fees and costs in an action brought under that statute, and California Code 16 of Civil Procedure § 1021.5, which authorizes the award of attorneys’ fees and costs 17 to prevailing plaintiffs whose actions vindicate important rights. 18 8. Plaintiff is informed, believes, and based thereon alleges that the 19 individual Defendants acted as described herein with reckless disregard for 20 Plaintiff’s rights and/or with the intent to injure, vex, annoy and harass Plaintiff, and 21 subjected Plaintiff to cruel and unjust hardship in conscious disregard of Plaintiff’s 22 rights with the intention of causing Plaintiff injury and depriving it of its 23 constitutional rights. 24 9. As a result of the foregoing, Plaintiff seeks compensatory and punitive 25 damages against the individual Defendants. 26 10. This Court has supplemental jurisdiction over Plaintiff’s state-law 27 claims pursuant to 28 U.S.C. § 1367, as they arise from the same case or 28 controversy as Plaintiff’s claims under federal law. [3138846.5] 2 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 5 of 32 Page ID #:5 1 2 PARTIES 11. HRDC is a not-for-profit charitable corporation recognized under 3 § 501(c)(3) of the Internal Revenue Code with its principal offices in Lake Worth, 4 Florida. The purpose of HRDC, as stated in its Articles of Incorporation, is to 5 educate prisoners and the public about the destructive nature of racism and sexism, 6 as well as the economic and social costs of prisons to society. Prison Legal News is 7 a wholly-owned project and the publishing arm of HRDC. Through its publishing 8 project, HRDC engages in core protected speech and expressive conduct on matters 9 of public concern, such as the operation of prison facilities, prison conditions, 10 prisoner health and safety, and prisoners’ rights. HRDC’s publications contain 11 political speech and social commentary, which are core First Amendment rights and 12 are entitled to the highest protection afforded by the U.S. Constitution. For more 13 than 25 years, the focus of HRDC’s mission has been public education, advocacy 14 and outreach on behalf of, and for the purpose of assisting, prisoners who seek legal 15 redress for infringements of their constitutionally-guaranteed and other basic human 16 rights. HRDC’s mission, if realized, has a salutary effect on public safety. 17 12. Defendant COUNTY OF LOS ANGELES (“Los Angeles County” or 18 “County”) is a political subdivision of the State of California organized and existing 19 under the laws of California. Los Angeles County is, and was at all relevant times 20 mentioned herein, responsible for the actions and/or inactions and the policies, 21 procedures, customs and practices of the Los Angeles County Sheriff’s Department 22 (“Sheriff’s Department” or “Department”) and its employees and agents. The 23 Department currently operates at least six detention facilities: Men’s Central Jail; 24 North County Correctional Facility; Pitchess Detention Center North Facility; 25 Pitchess Detention Center South Facility; Twin Towers Correctional Facility; and 26 Century Regional Detention Center. The Department is and was responsible for 27 adopting and implementing mail policies governing incoming mail for inmates at all 28 Los Angeles County jails, including Men’s Central Jail. [3138846.5] 3 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 6 of 32 Page ID #:6 1 13. Defendant JIM MCDONNELL is the Los Angeles County Sheriff, and 2 has held this position since December 1, 2014. Defendant MCDONNELL is 3 employed by and is an agent of Defendant COUNTY OF LOS ANGELES and the 4 Sheriff’s Department. He is responsible for overseeing the management and 5 operations of the jails, and for the hiring, screening, training, retention, supervision, 6 discipline, counseling, and control of the personnel of the Los Angeles County jails 7 who interpret and apply the jails’ inmate mail policy. As Sheriff, Defendant 8 MCDONNELL is a final policymaker for Defendant COUNTY OF LOS ANGELES 9 with respect to the operations of all Los Angeles County jails, inclusive of Men’s 10 Central Jail, including for policies governing incoming mail for inmates. He is sued 11 in his individual and official capacities. 12 14. Defendant NEAL TYLER is Executive Officer of the Sheriff’s 13 Department. Defendant TYLER is employed by and is an agent of Defendants 14 COUNTY OF LOS ANGELES and JIM MCDONNELL, as well as the Sheriff’s 15 Department. Upon information and belief, he is personally involved in the adoption 16 and/or implementation of the mail policies at issue and is responsible for overseeing, 17 planning, coordinating and evaluating the legality of the mail policies and practices 18 at the Men’s Central Jail. He is sued in his individual and official capacities. 19 15. Defendant KELLY HARRINGTON is the Assistant Sheriff in charge 20 of Custody Operations for the Sheriff’s Department and was appointed to the 21 position in 2016. He is employed by and is an agent of Defendant COUNTY OF 22 LOS ANGELES and the Sheriff’s Department. Custody Operations includes all jail 23 responsibilities related to inmate services, including but not limited to reception, 24 booking and classification, housing, and other jail services. As Assistant Sheriff in 25 charge of Custody Operations, Defendant HARRINGTON is responsible for the 26 operation and management of the Los Angeles County jails and for the 27 promulgation and implementation of Custody Operations policies, including the 28 inmate mail policies challenged herein. He is also responsible for the hiring, [3138846.5] 4 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 7 of 32 Page ID #:7 1 screening, training, retention, supervision, discipline, counseling, and control of the 2 personnel of the Los Angeles County jails, including the Men’s Central Jail, who 3 interpret and apply the inmate mail policy. He is sued in his individual and official 4 capacities. 5 16. Defendant JOANNE SHARP is the Division Chief for the Sheriff’s 6 Department’s Custody Services Division – General Population, a division within 7 Custody Operations. She is employed by and is an agent of Defendant COUNTY 8 OF LOS ANGELES and the Sheriff’s Department. In that capacity, Defendant 9 SHARP is responsible for the implementation of Custody Services policies at Los 10 Angeles County jail facilities, including the inmate mail policies challenged herein, 11 and for the hiring, screening, training, retention, supervision, discipline, counseling, 12 and control of the personnel of the Los Angeles County jails who interpret and apply 13 the inmate mail policy. She is sued in her individual and official capacities. 14 17. Defendant KEVIN HEBERT is a Commander in the Sheriff’s 15 Department’s Custody Services Division – General Population. He is employed by 16 and is an agent of Defendant COUNTY OF LOS ANGELES and the Sheriff’s 17 Department. In that capacity, Defendant HEBERT is responsible for the 18 implementation of Custody Services policies at Los Angeles County jail facilities, 19 including the inmate mail policies challenged herein, and for the hiring, screening, 20 training, retention, supervision, discipline, counseling, and control of the personnel 21 of the Los Angeles County jails who interpret and apply the inmate mail policy. He 22 is sued in his individual and official capacities. 23 18. Defendant ROOSEVELT JOHNSON is a Commander in the Sheriff’s 24 Department’s Custody Services Division – General Population. He is employed by 25 and is an agent of Defendant COUNTY OF LOS ANGELES and the Sheriff’s 26 Department. In that capacity, Defendant JOHNSON is responsible for the 27 implementation of Custody Services policies at Los Angeles County jail facilities, 28 including the inmate mail policies challenged herein, and for the hiring, screening, [3138846.5] 5 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 8 of 32 Page ID #:8 1 training, retention, supervision, discipline, counseling, and control of the personnel 2 of the Los Angeles County jails who interpret and apply the inmate mail policy. He 3 is sued in his individual and official capacities. 4 19. Defendant KEVIN KUYKENDALL is a Commander in the Sheriff’s 5 Department’s Custody Services Division – General Population. He is employed by 6 and is an agent of Defendant COUNTY OF LOS ANGELES and the Sheriff’s 7 Department. In that capacity, Defendant KUYKENDALL is responsible for the 8 implementation of Custody Services policies at Los Angeles County jail facilities, 9 including the inmate mail policies challenged herein, and for the hiring, screening, 10 training, retention, supervision, discipline, counseling, and control of the personnel 11 of the Los Angeles County jails who interpret and apply the inmate mail policy. He 12 is sued in his individual and official capacities. 13 20. Defendant ERIC PARRA was the Division Chief for the Sheriff’s 14 Department’s Custody Services Division at all relevant times mentioned herein until 15 early 2017, when he was reassigned to Patrol Operations. He is employed by and is 16 an agent of Defendant COUNTY OF LOS ANGELES and the Sheriff’s Department. 17 In his capacity as Custody Services Division Chief, Defendant PARRA was 18 responsible for the implementation of Custody Services policies at Los Angeles 19 County jail facilities, including the inmate mail policies challenged herein, and for 20 the hiring, screening, training, retention, supervision, discipline, counseling, and 21 control of the personnel of the Los Angeles County jails who interpret and apply the 22 inmate mail policy. He is sued in his individual and official capacities. 23 21. Defendant ELIER MOREJON is the Captain in charge of the Inmate 24 Reception Center at Men’s Central Jail. He is employed by and is an agent of 25 Defendant COUNTY OF LOS ANGELES and the Sheriff’s Department. Defendant 26 MOREJON supervises mailroom staff and manages the inspection and routing of all 27 incoming inmate mail to the Men’s Central Jail. He is sued in his individual and 28 official capacities. [3138846.5] 6 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 9 of 32 Page ID #:9 1 22. Defendant DANIEL DYER is the Commander in charge of the 2 Sheriff’s Department’s Custody Services Administration Command. Defendant 3 DYER was previously the Captain in charge of the Men’s Central Jail. He is 4 employed by and is an agent of Defendant COUNTY OF LOS ANGELES and the 5 Sheriff’s Department. As Captain in charge of the Men’s Central Jail, Defendant 6 DYER supervised and managed all of the daily operations of the Men’s Central Jail. 7 In his current position, Defendant DYER is responsible for the implementation of 8 Custody Services policies at Los Angeles County jail facilities, including the inmate 9 mail policies challenged herein, and for the hiring, screening, training, retention, 10 supervision, discipline, counseling, and control of the personnel of the Los Angeles 11 County jails who interpret and apply the inmate mail policy. He is sued in his 12 individual and official capacities. 13 23. Defendant ANA BRACKPOOL is one of two Captains in charge of the 14 Men’s Central Jail. She is employed by and is an agent of Defendant COUNTY OF 15 LOS ANGELES and the Sheriff’s Department. Defendant BRACKPOOL 16 supervises and manages all of the daily operations of the Men’s Central Jail. She is 17 sued in her individual and official capacities. 18 24. Defendant AGUSTIN DEL VALLE is one of two Captains in charge of 19 the Men’s Central Jail. He is employed by and is an agent of Defendant COUNTY 20 OF LOS ANGELES and the Sheriff’s Department. Defendant DEL VALLE 21 supervises and manages all of the daily operations of the Men’s Central Jail. He is 22 sued in his individual and official capacities. 23 25. Defendant TERRI MCDONALD was the Assistant Sheriff in charge of 24 Custody Operations for the Sheriff’s Department from 2013 until her retirement 25 from the Sheriff’s Department in spring 2016. She was employed by and was an 26 agent of Defendant COUNTY OF LOS ANGELES and the Sheriff’s Department. 27 As Assistant Sheriff in charge of Custody Operations, Defendant MCDONALD was 28 responsible for the operation and management of the Los Angeles County jails and [3138846.5] 7 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 10 of 32 Page ID #:10 1 for the promulgation and implementation of Custody Operations policies, including 2 the inmate mail policies challenged herein. She was also responsible for the hiring, 3 screening, training, retention, supervision, discipline, counseling, and control of the 4 personnel of the Los Angeles County jails, including the Men’s Central Jail, who 5 interpret and apply the inmate mail policy. She is sued in her individual capacity. 6 26. The true names and identities of Defendants DOES 1 through 10 are 7 presently unknown to HRDC. Each of Defendants DOES 1 through 10 are or were 8 employed by and are or were agents of Defendant COUNTY OF LOS ANGELES 9 and the Sheriff’s Department when some or all of the challenged inmate mail 10 policies and practices at the Men’s Central Jail were adopted and/or implemented. 11 Each of Defendants DOES 1 through 10 are or were personally involved in the 12 adoption and/or implementation of the Custody Services Division’s mail policies for 13 inmates, and/or are or were responsible for the hiring, screening, training, retention, 14 supervision, discipline, counseling, and/or control of the Men’s Central Jail staff 15 who interpret and implement these inmate mail policies. They are sued in their 16 individual and official capacities. HRDC will seek to amend this Complaint as soon 17 as the true names and identities of Defendants DOES 1 through 10 have been 18 ascertained. 19 27. At all times material to this action, the actions of all Defendants as 20 alleged herein were taken under the authority and color of state law. 21 22 FACTUAL ALLEGATIONS 28. The Los Angeles County jail system currently consists of six 23 correctional facilities and holds the largest number of pre-trial detainees in the 24 United States. Over half of the prisoners within the jail system have yet to stand 25 trial or be sentenced for a crime. 26 29. The Men’s Central Jail has a bed capacity of 5,640 prisoners and 27 houses prisoners of every security level, from general population to high security 28 prisoners. It houses the majority of the pre-trial detainees in the Los Angeles [3138846.5] 8 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 11 of 32 Page ID #:11 1 County jail system. The K-10 unit within Men’s Central Jail houses prisoners 2 whom Defendants have segregated from the general population for a variety of 3 reasons. For instance, the K-10 unit houses prisoners whom Defendants have 4 determined need to be protected from other prisoners because of the crimes with 5 which they have been charged. 6 30. HRDC, through its publication project Prison Legal News, publishes 7 and distributes a soft-cover monthly magazine titled Prison Legal News: Dedicated 8 to Protecting Human Rights, which contains news and analysis about prisons, jails 9 and other detention facilities, prisoners’ rights, court opinions, management of 10 prison facilities, prison conditions, and other matters pertaining to the rights and/or 11 interests of incarcerated individuals. The monthly magazine is published on 12 newsprint and is 72 pages long. HRDC has thousands of subscribers to its monthly 13 magazine in the United States and abroad, including prisoners, attorneys, journalists, 14 public libraries, judges, and members of the general public. HRDC distributes its 15 monthly magazine and other publications to prisoners and law librarians in more 16 than 2,200 correctional facilities located across all fifty states, including Federal 17 Bureau of Prisons institutions such as the Lompoc Federal Correctional Institute and 18 the Los Angeles Metropolitan Detention Center. HRDC’s monthly magazine and 19 other publications are distributed in prisons run by the California Department of 20 Corrections and Rehabilitation, as well as in county jails throughout California, 21 including San Diego County Jail, Sacramento County Jail, and Ventura County Jail. 22 HRDC’s publications are also distributed in death row units and “supermax” 23 facilities throughout the United States, including the ADX Supermax at Florence, 24 Colorado, the most secure prison in the United States. 25 31. In addition to monthly magazine issues, HRDC also sends to prisoners: 26 (a) Prison Legal News subscription renewal letters in individually-addressed 27 envelopes; (b) informational brochure packets that contain a brochure and 28 subscription order form, a book list, and a published books brochure (each of which [3138846.5] 9 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 12 of 32 Page ID #:12 1 is a single page); and (c) copies of judicial opinions of import to prisoners. Defendants’ Inmate Mail Policy 2 3 32. Defendants’ inmate mail policy is posted on its public website at 4 http://shq.lasdnews.net/pages/PageDetail.aspx?id=1512 (last visited July 3, 2017). 5 This policy, entitled “Inmate Mail Regulations,” provides in pertinent part: 6 7 8 9 10 11 12 13 14 15 Your cooperation when corresponding with an inmate will be greatly appreciated. All envelopes and paper must be free of debris and/or any illegal substances, perfume/cologne, lip stick, or dried liquids. Your mail or parcel will been returned for the following reason(s): * Food or cosmetic items (lipstick, perfume, unknown stains) 16 * Blank envelopes (with or without postage attached), blank paper, (stationery) 17 * Envelopes with metal clasps 18 * Postage stamps that were not used to mail package 19 * Envelopes with gang or suggestive drawings 20 * No artwork in crayon, marker, or colored pencils. 21 * Copyright material (this includes, printed song lyrics; book passages; articles) 22 23 * Cash, personal or second party checks, payroll checks, out of state checks 24 * Money order exceeding the $200 limit 25 * Blank money orders (money orders must be signed and made payable to the inmate) 26 27 28 [3138846.5] The Los Angeles County Sheriff’s Department has strict inmate mail procedures for security and safety reasons. All inmates are advised of these regulations/guidelines via handouts, and/or posted information within Inmate Reception Center and Century Regional Detention Facility. They are directed to notify anyone that might send mail or parcels. Any mail or parcels that are received contrary to these guidelines will be returned “intact” to the sender. Many of the items that are not allowed, are readily available through the jail stores. * Out of state money orders (must be from a US Postal Office) * Greeting cards: that plays music; plastic; blank; tri fold; larger than 6"x 9"; pop up style; 3D style; includes ribbons and/or bows; have been 10 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 13 of 32 Page ID #:13 1 altered. Postcards larger than 6"x 9" 2 * Photographs or pictures that depict full or partial nudity; suggestive; depict gang tattoos or hand gestures 3 4 * Picture inside a picture photographs (a picture that has a smaller photo within the picture) 5 * Photographs of headshots 6 * Identification cards or facsimiles 7 * Photographs that depict inmate for whom the mail is intended 8 * Paper clips, staples, pens, pencils, glitter, stickers, glued or gummed labels 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 * Rosary beads, balloons, string bracelets or jewelry items * Lottery tickets or pre-paid telephone cards * Cellophane tape or any type of tape on letters With respect to photographs and computer generated pictures, the following WILL be accepted: * Maximum of five (5) photographs are allowed (each photograph on a collage is included in this count and measured separately) no polaroid photographs, no collages * Photographs or computer generated pictures must be a minimum of 3"x 5" and a maximum of 4"x 6" in size * OTHER: The Los Angeles County Sheriff’s Department has the right to return any item(s) that are deemed potentially harmful and/or possibly cause security concerns within the Jail environment. With respect to books, publications or periodicals, we will not accept: * Anything NOT sent directly from a bookstore or a publisher * Anything of an explicit sexual nature * More than three (3) books per week * More than three (3) magazines per week * No hardcover books * Audio, CDs or Cassette tape Defendants’ Censorship of HRDC’s Mail 27 28 [3138846.5] 33. Defendants have censored the following materials that Plaintiff sent to 11 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 14 of 32 Page ID #:14 1 individual prisoners at the Men’s Central Jail: (1) issues of the monthly magazine, 2 Prison Legal News, that were mailed to subscribers; (2) sample issues of Prison 3 Legal News that were mailed to prospective subscribers; (3) subscription renewal 4 letters; (4) informational brochure packets; and (5) court opinions. Defendants 5 refused to deliver said items to the prisoners and, in some instances, returned items 6 to Plaintiff’s office via the “Return To Sender” service of the United States Postal 7 Service. Defendants continue to censor the items listed above. 8 34. Since August 2015, Plaintiff has identified at least one hundred and 9 forty-nine (149) items of mail sent by HRDC to prisoners at Men’s Central Jail that 10 were withheld by Defendants. This restriction on written speech sent to prisoners at 11 Men’s Central Jail is not rationally related to any legitimate penological interest and 12 violates HRDC’s First Amendment right to communicate its speech with prisoners. 13 Censorship of Monthly Issues of Prison Legal News 14 35. Since August 2015, HRDC has identified at least seventy-eight (78) 15 separate occasions in which Defendants censored monthly issues of Prison Legal 16 News that were individually addressed to prisoners who subscribed to the magazine. 17 Instead of delivering these magazines to the prisoners who ordered them, 18 Defendants returned the mail at Plaintiff’s expense, indicating various reasons for 19 the return, including: 20 (1) “CONTENTS UNACCEPTABLE”; 21 (2) “CONTENTS UNACCEPTABLE … 2500 C7”; 22 23 (3) “RELEASED” (even though the Sheriff’s Department’s own website indicated the prisoner was still in custody at the Men’s Central Jail after the mailing); 24 (4) “OTHER 4/14”; and 25 (5) “CONTENTS UNACCEPTABLE … NOT CASE RELATED.” 26 / / / 27 / / / 28 / / / [3138846.5] 12 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 15 of 32 Page ID #:15 1 36. These 78 occasions are as follows: 2 Prisoner Name: Date Returned to HRDC: 3 Subscriber 1 August 21, 2015 4 Subscriber 2 September 25, 2015 5 Subscriber 1 March 23, 2016 6 Subscriber 2 March 23, 2016 7 Subscriber 3 March 23, 2016 8 Subscriber 4 March 23, 2016 9 Subscriber 5 March 23, 2016 10 Subscriber 6 March 23, 2016 11 Subscriber 7 March 23, 2016 12 Subscriber 8 March 23, 2016 13 Subscriber 9 April 6, 2016 14 Subscriber 4 April 15, 2016 15 Subscriber 7 April 15, 2016 16 Subscriber 1 April 19, 2016 17 Subscriber 3 April 19, 2016 18 Subscriber 4 April 19, 2016 19 Subscriber 5 April 19, 2016 20 Subscriber 7 April 19, 2016 21 Subscriber 8 April 19, 2016 22 Subscriber 9 April 19, 2016 23 Subscriber 10 April 19, 2016 24 Subscriber 11 April 19, 2016 25 Subscriber 12 April 19, 2016 26 Subscriber 13 April 19, 2016 27 Subscriber 14 April 19, 2016 28 [3138846.5] 13 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 16 of 32 Page ID #:16 1 Prisoner Name: Date Returned to HRDC: 2 Subscriber 15 April 19, 2016 3 Subscriber 16 April 19, 2016 4 Subscriber 17 April 19, 2016 5 Subscriber 18 April 19, 2016 6 Subscriber 19 April 19, 2016 7 Subscriber 20 April 19, 2016 8 Subscriber 21 April 19, 2016 9 Subscriber 22 April 19, 2016 10 Subscriber 23 April 19, 2016 11 Subscriber 13 April 26, 2016 12 Subscriber 20 April 26, 2016 13 Subscriber 21 July 26, 2016 14 Subscriber 10 September 1, 2016 15 Subscriber 24 September 1, 2016 16 Subscriber 7 September 2, 2016 17 Subscriber 17 September 2, 2016 18 Subscriber 25 September 2, 2016 19 Subscriber 26 September 2, 2016 20 Subscriber 27 September 2, 2016 21 Subscriber 16 October 17, 2016 22 Subscriber 21 October 17, 2016 23 Subscriber 23 October 17, 2016 24 Subscriber 28 October 17, 2016 25 Subscriber 13 November 17, 2016 26 Subscriber 29 November 21, 2016 27 Subscriber 1 November 28, 2016 28 [3138846.5] 14 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 17 of 32 Page ID #:17 1 Prisoner Name: Date Returned to HRDC: 2 Subscriber 16 November 28, 2016 3 Subscriber 20 November 28, 2106 4 Subscriber 21 November 28, 2016 5 Subscriber 23 November 28, 2016 6 Subscriber 24 November 28, 2016 7 Subscriber 29 November 28, 2016 8 Subscriber 30 November 28, 2016 9 Subscriber 1 December 24, 2016 10 Subscriber 23 December 24, 2016 11 Subscriber 24 December 24, 2016 12 Subscriber 29 December 24, 2016 13 Subscriber 24 January 27, 2017 14 Subscriber 30 February 4, 2017 15 Subscriber 29 March 9, 2017 16 Subscriber 12 April 27, 2017 17 Subscriber 13 April 27, 2017 18 Subscriber 20 April 27, 2017 19 Subscriber 29 April 27, 2017 20 Subscriber 16 May 1, 2017 21 Subscriber 1 May 26, 2017 22 Subscriber 13 May 26, 2017 23 Subscriber 16 May 26, 2017 24 Subscriber 24 May 26, 2017 25 Subscriber 29 May 26, 2017 26 Subscriber 30 May 26, 2017 27 Subscriber 42 May 26, 2017 28 [3138846.5] 15 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 18 of 32 Page ID #:18 1 Prisoner Name: Date Returned to HRDC: 2 Subscriber 23 June 9, 2017 3 4 In this list and those that follow, HRDC has replaced the names of the prisoners to 5 whom the items were addressed with unique but anonymous identifiers. 6 37. On information and belief, a vast majority of the other monthly issues 7 mailed to individual prisoners at Men’s Central Jail were censored by Defendants. 8 38. Defendants’ policies, practices, and customs are unconstitutional both 9 facially and as applied to HRDC. 10 39. Defendants’ censorship policies, practices, and customs have a chilling 11 effect on HRDC’s future speech and expression directed toward prisoners at Men’s 12 Central Jail. 13 40. HRDC will continue to mail monthly issues of Prison Legal News to 14 subscribers at Men’s Central Jail. 15 Censorship of Sample Issues of Prison Legal News 16 41. Defendants have also censored sample issues of Prison Legal News 17 sent to prisoners at the Men’s Central Jail in individually addressed envelopes via 18 U.S. First Class Mail. These issues were sent directly to individuals who requested 19 sample copies of Prison Legal News and to others who were identified by HRDC as 20 people likely to be in need of the information that HRDC distributes. 21 42. Since August 2015, HRDC can identify at least thirty-two (32) separate 22 occasions in which Defendants censored sample issues sent to individually 23 addressed prisoners. Defendants sent these sample issues back by return mail at 24 HRDC’s expense, indicating various reasons for rejecting the mail, including: 25 26 27 (1) “CONTENTS UNACCEPTABLE … NOT CURRENT ISSUE. RCVD. 1/5/16”; and (2) “CONTENTS UNACCEPTABLE.” 28 / / / [3138846.5] 16 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 19 of 32 Page ID #:19 1 43. These 32 occasions are as follows: 2 Prisoner Name: Date Returned to HRDC: 3 Subscriber 3 January 18, 2016 4 Subscriber 6 January 18, 2016 5 Subscriber 8 January 18, 2016 6 Subscriber 12 January 18, 2016 7 Subscriber 13 January 18, 2016 8 Subscriber 17 January 18, 2016 9 Subscriber 19 January 18, 2016 10 Subscriber 31 January 18, 2016 11 Subscriber 32 January 18, 2016 12 Subscriber 33 January 18, 2016 13 Subscriber 34 January 18, 2016 14 Subscriber 35 January 18, 2016 15 Subscriber 11 March 9, 2016 16 Subscriber 14 March 9, 2016 17 Subscriber 16 March 9, 2016 18 Subscriber 18 March 9, 2016 19 Subscriber 20 March 9, 2016 20 Subscriber 22 March 9, 2016 21 Subscriber 28 March 9, 2016 22 Subscriber 36 March 9, 2016 23 Subscriber 10 April 15, 2016 24 Subscriber 15 April 15, 2016 25 Subscriber 21 April 16, 2016 26 Subscriber 24 May 20, 2016 27 Subscriber 29 May 20, 2016 28 [3138846.5] 17 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 20 of 32 Page ID #:20 1 Prisoner Name: Date Returned to HRDC: 2 Subscriber 30 August 16, 2016 3 Subscriber 37 September 2, 2016 4 Subscriber 38 September 2, 2016 5 Subscriber 39 September 9, 2016 6 Subscriber 40 September 10, 2016 7 Subscriber 41 September 10, 2016 8 Subscriber 29 May 22, 2017 9 10 These prisoners are identified for purposes of this complaint by a unique subscriber 11 identifier, even though not all of them ultimately chose to subscribe to Prison Legal 12 News. 13 44. On information and belief, a vast majority of the other sample issues 14 mailed to individual prisoners at Men’s Central Jail were censored by Defendants. 15 45. Defendants’ policies, practices, and customs are unconstitutional both 16 facially and as applied to HRDC. 17 46. Defendants’ censorship policies, practices, and customs have a chilling 18 effect on HRDC’s future speech and expression directed toward prisoners at Men’s 19 Central Jail. 20 47. HRDC will continue to mail sample issues of Prison Legal News to 21 prisoners at Men’s Central Jail. 22 Censorship of Subscription Renewal Letters 23 48. Defendants have also censored HRDC’s correspondence with prisoners 24 containing subscription renewal letters. 25 49. Since August 2015, HRDC has identified at least twenty-four (24) 26 individually addressed subscription renewal letters, mailed on separate occasions, 27 that Defendants sent back by return mail, at HRDC’s expense, noting: 28 [3138846.5] (1) RELEASED” (even though the Sheriff’s Department’s own website 18 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 21 of 32 Page ID #:21 1 2 3 4 indicated the prisoner was still in custody at the Men’s Central Jail after the mailing); (2) “10/7 RETURN UNACCEPTABLE READING MATERIAL”; (3) “CONTENTS UNACCEPTABLE”; 5 (4) “CONTENTS UNACCEPTABLE … RETURN UNACCEPTABLE READING MATERIAL”; and 6 (5) “OTHER.” 7 50. These 24 occasions are as follows: 8 Prisoner Name: Date Returned to HRDC: 9 Subscriber 9 June 16, 2016 10 Subscriber 8 September 16, 2016 11 Subscriber 12 September 16, 2016 12 Subscriber 13 September 16, 2016 13 Subscriber 17 September 16, 2016 14 Subscriber 18 September 16, 2016 15 Subscriber 19 September 16, 2016 16 Subscriber 20 September 16, 2016 17 Subscriber 32 September 16, 2016 18 Subscriber 36 September 16, 2016 19 Subscriber 28 October 1, 2016 20 Subscriber 12 October 24, 2016 21 Subscriber 16 October 24, 2016 22 Subscriber 17 October 24, 2016 23 Subscriber 18 October 24, 2016 24 Subscriber 21 October 24, 2016 25 Subscriber 23 October 24, 2016 26 Subscriber 28 October 24, 2016 27 Subscriber 32 October 24, 2016 28 [3138846.5] 19 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 22 of 32 Page ID #:22 1 Prisoner Name: Date Returned to HRDC: 2 Subscriber 36 October 24, 2016 3 Subscriber 20 November 2, 2016 4 Subscriber 29 December 14, 2016 5 Subscriber 29 January 21, 2017 6 Subscriber 29 March 6, 2017 7 8 51. On information and belief, a vast majority of the other subscription 9 renewal letters mailed by HRDC to individual prisoners at Men’s Central Jail were 10 censored by Defendants. 11 52. Defendants’ policies, practices, and customs are unconstitutional both 12 facially and as applied to HRDC. 13 53. Defendants’ censorship policies, practices, and customs have a chilling 14 effect on HRDC’s future speech and expression directed toward prisoners at Men’s 15 Central Jail. 16 54. HRDC will continue to mail subscription renewal letters to subscribers 17 at Men’s Central Jail. 18 Censorship of Information Brochure Packets 19 55. Since August 2015, HRDC has identified at least eight (8) separate 20 occasions in which informational brochure packets that were individually addressed 21 to prisoners were censored by Defendants. These brochures were sent directly to 22 individuals who requested information about HRDC publications and to others who 23 were identified by HRDC as people likely to be in need of the information that 24 HRDC distributes. Defendants sent the packets back to HRDC by return mail, at 25 HRDC’s expense, indicating various reasons for the return including the following: 26 (1) “CONTENTS UNACCEPTABLE”; and 27 (2) “BANNED 8/29.” 28 / / / [3138846.5] 20 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 23 of 32 Page ID #:23 1 56. These eight occasions are as follows: 2 Prisoner Name: Date Returned to HRDC: 3 Subscriber 16 August 30, 2016 4 Subscriber 18 August 30, 2016 5 Subscriber 20 August 30, 2016 6 Subscriber 21 August 30, 2016 7 Subscriber 28 August 30, 2016 8 Subscriber 36 August 30, 2016 9 Subscriber 40 September 2, 2016 10 Subscriber 41 September 2, 2016 11 12 57. On information and belief, a vast majority of the other informational 13 brochure packets mailed to individual prisoners at Men’s Central Jail were censored 14 by Defendants. 15 58. Defendants’ policies, practices, and customs are unconstitutional both 16 facially and as applied to HRDC. 17 59. Defendants’ censorship policies, practices, and customs have a chilling 18 effect on HRDC’s future speech and expression directed toward prisoners at Men’s 19 Central Jail. 20 60. HRDC will continue to mail informational brochure packets to 21 prisoners at Men’s Central Jail. 22 Censorship of Court Opinions 23 61. Since August 2015, HRDC has identified at least seven (7) individually 24 addressed copies of court opinions mailed to prisoners at Men’s Central Jail that 25 Defendants censored. All of these court opinions were copies of the Ninth Circuit’s 26 opinion in Clement v. California Dept. of Corr., 364 F.3d1148 (9th Cir. 2004), 27 which concerns the validity of a prison regulation barring prisoners from receiving 28 material printed from the internet. These court opinions were sent directly to [3138846.5] 21 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 24 of 32 Page ID #:24 1 individuals who requested them and to others who were identified by HRDC as 2 people likely to be in need of the information. 3 62. All of the above court opinions were sent back to HRDC by return 4 mail, at HRDC’s expense, indicating various reasons for the return including the 5 following: “CONTENTS UNACCEPTABLE.” 6 63. These seven occasions are as follows: 7 Prisoner Name: Date Returned to HRDC: 8 Subscriber 16 August 30, 2016 9 Subscriber 18 August 30, 2016 10 Subscriber 20 August 30, 2016 11 Subscriber 21 August 30, 2016 12 Subscriber 28 August 30, 2016 13 Subscriber 36 August 30, 2016 14 Subscriber 29 June 13, 2017 15 16 64. On information and belief, a vast majority of the other court opinions 17 mailed by HRDC to individual prisoners at Men’s Central Jail were censored by 18 Defendants. 19 65. Defendants’ policies, practices, and customs are unconstitutional both 20 facially and as applied to HRDC. 21 66. Defendants’ censorship policies, practices, and customs have a chilling 22 effect on HRDC’s future speech and expression directed toward prisoners at Men’s 23 Central Jail. 24 67. HRDC will continue to mail court opinions to prisoners at Men’s 25 Central Jail. 26 27 28 [3138846.5] Defendants’ Censorship of HRDC’s Communication to Prisoners in the Restrictive Housing Unit (K-10) 68. Of the one hundred and ten (110) monthly and sample issues of Prison 22 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 25 of 32 Page ID #:25 1 Legal News, noted supra in ¶¶ 35-36 and 42-43, Plaintiff has identified at least 2 seventy-four (74) of those individually addressed issues that were mailed to 3 prisoners in the K-10 unit at Men’s Central Jail. When censoring these issues, 4 Defendants have indicated various reasons for the returned issues, including the 5 following: 6 (1) “CONTENTS UNACCEPTABLE … K-10 NO NEWSPAPERS”; 7 (2) “K-10 INMATE NO MAGAZINES”; 8 (3) “K-10 … NO MAGAZINES … SECURITY ISSUE – SAFETY OF INMATES AND CUSTODY STAFF”; 9 10 11 12 (4) “CONTENTS UNACCEPTABLE … NOT CASE RELATED … K-10 NO NEWSPAPERS”; (5) “CONTENTS UNACCEPTABLE … INMATE K-10 … NO MAG ALLOWED”; 13 (6) “CONTENTS UNACCEPTABLE … K-10 NO MAGAZINES ALLOWED”; and 14 (7) “K-10 NO MAGAZINES ALLOWED.” 15 69. On information and belief, a vast majority, if not all, other monthly and 16 sample issues of Prison Legal News mailed to individual prisoners in the K-10 unit 17 were censored by Defendants. 18 70. Defendants house prisoners in the K-10 unit for a variety of reasons. 19 The K-10 unit houses pretrial detainees who have been accused of high-profile 20 crimes, regardless of their behavior in custody, as well as prisoners whom 21 Defendants have determined need to be protected for other reasons. On information 22 and belief, other prisoners are housed in K-10 only as a result of being improperly 23 “de-classed,” or discharged, from a mental health classification. The K-10 unit also 24 houses prisoners whom Defendants deem a threat to jail security and discipline, but 25 on information and belief, these prisoners are not housed in K-10 as part of a 26 behavioral modification program, and some of them have not committed any 27 disciplinary infractions while in Men’s Central Jail. Even among those prisoners 28 who have committed disciplinary infractions in the past, on information and belief, [3138846.5] 23 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 26 of 32 Page ID #:26 1 some remain housed in K-10 despite demonstrating no current disciplinary 2 problems. 3 71. Defendants have violated and continue to violate HRDC’s 4 constitutional right to communicate with prisoners in the K-10 unit. 5 72. As stated infra, Defendants did not provide adequate notice to HRDC 6 of the reasons for this censorship, or allow it an opportunity to appeal the censorship 7 decisions. 8 73. Defendants’ policies, practices, and customs are unconstitutional both 9 facially and as applied to HRDC’s communication with prisoners in the K-10 unit. 10 74. Defendants’ censorship policies, practices, and customs have a chilling 11 effect on HRDC’s future speech and expression directed toward prisoners in the K12 10 unit at Men’s Central Jail. 13 75. HRDC will continue to communicate with prisoners in the K-10 unit at 14 Men’s Central Jail. Defendants’ Failure to Provide Due Process 15 16 76. Defendants’ Inmate Mail Regulations, as stated on the Sheriff’s 17 Department website, fail to provide any explanation why HRDC’s publications and 18 other correspondence have been or are being censored. 19 77. Defendants’ mail policy also fails to require notice of censorship be 20 given to either the intended recipient or the sender of censored mail, nor does it 21 provide an avenue by which the censorship decision can be appealed. 22 78. In all of the above instances of censorship of HRDC’s communication, 23 Defendants failed to provide due process notice to HRDC of the reason for rejecting 24 its materials, in violation of HRDC’s Fourteenth Amendment rights. 25 79. Some of the items returned to HRDC by Defendants contain no 26 indication why the item was censored. Other items returned to HRDC bear 27 notations such as “CONTENTS UNACCEPTABLE,” but those notations fail to 28 explain the penological justification for Defendants’ censorship decisions, fail to [3138846.5] 24 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 27 of 32 Page ID #:27 1 identify the specific mail policy they relied on, state different reasons for censoring 2 identical items of mail, and otherwise fail to give meaningful notice of the 3 censorship. 4 80. On information and belief, Defendants in other instances refused to 5 deliver HRDC’s communication to prisoners at the Men’s Central Jail, yet failed to 6 return the censored items to HRDC and failed to provide HRDC with any notice of 7 censorship. 8 81. At no time did Defendants provide an opportunity for HRDC to appeal 9 the censorship of its mail. 10 11 Defendants’ Unconstitutional Mail Policy is Causing HRDC Ongoing Harm 82. Due to Defendants’ actions described above, HRDC has suffered 12 damages, and will continue to suffer damages, including, but not limited to: the 13 violation of the HRDC’s constitutional rights; the impediment of HRDC’s ability to 14 disseminate its political message; frustration of HRDC’s non-profit organizational 15 mission; diversion of resources; loss of potential subscribers and customers; an 16 inability to recruit new subscribers and supporters; the loss of reputation; and the 17 costs of printing, handling, mailing, and staff time. 18 83. Defendants’ actions and inactions were and are motivated by ill motive 19 and intent, and were and are all committed under color of law and with reckless 20 indifference to HRDC’s rights. 21 84. Defendants, and their agents, are responsible for or personally 22 participated in creating and implementing these unconstitutional policies, practices, 23 and customs, or for ratifying or adopting them. Further, Defendants are responsible 24 for training and supervising the staff persons whose conduct has injured and 25 continues to injure HRDC. 26 85. Defendants’ unconstitutional policy, practices, and customs are 27 ongoing, continue to violate HRDC’s rights, and are the moving force behind the 28 constitutional violations. Defendants’ unconstitutional policy, practices, and [3138846.5] 25 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 28 of 32 Page ID #:28 1 customs will continue unless enjoined. As such, HRDC has no adequate remedy at 2 law. 3 86. HRDC is entitled to injunctive relief prohibiting Defendants from 4 refusing to deliver its monthly magazine Prison Legal News, sample issues of 5 Prison Legal News, informational brochure packets, subscription renewal letters and 6 court opinions without any legal justification, and prohibiting Defendants from 7 censoring mail without due process of law. 8 9 HRDC’s Exhaustion of Pre-Lawsuit Procedures for State-Law Claims 87. HRDC submitted a state tort claim to Defendant COUNTY OF LOS 10 ANGELES on April 10, 2017. The County responded by letter on April 13, 2017, 11 asserting that HRDC’s claim was untimely as to activities occurring before October 12 9, 2016. On May 25, 2017, the County notified HRDC by letter that its claim was 13 rejected as it pertains to activities occurring since October 10, 2016. 14 CLAIMS FOR RELIEF 15 FIRST CLAIM FOR RELIEF (For Violations of the First Amendment Under Color Of State Law – Free Speech; Section 1983) 16 17 88. Each paragraph of this Complaint is incorporated as if restated fully 18 herein. 19 89. The acts described above constitute violations of HRDC’s rights, the 20 rights of other correspondents who have attempted to or intend to correspond with 21 prisoners at the Men’s Central Jail, and the rights of prisoners confined at the Men’s 22 Central Jail, under the First Amendment of the United States Constitution. 23 90. HRDC has a constitutionally protected liberty interest in 24 communicating with incarcerated individuals by sending information packets, 25 renewal letters, court opinions and magazines to them via U.S. Mail, a right clearly 26 established under existing case law. 27 91. The conduct of Defendants was objectively unreasonable and was 28 undertaken intentionally with malice, willfulness, and reckless indifference to the [3138846.5] 26 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 29 of 32 Page ID #:29 1 rights of others. 2 92. HRDC’s injuries and the violations of its constitutional rights were 3 directly and proximately caused by the policies and practices of Defendants, and 4 those policies were the moving force behind the violations. 5 93. The acts described above have caused damages to HRDC, and if not 6 enjoined, will continue to cause damage to HRDC. 7 94. HRDC seeks declaratory and injunctive relief, and nominal and 8 compensatory damages against all Defendants, except that it does not seek 9 injunctive relief against Defendant MCDONALD. HRDC seeks punitive damages 10 against the individual Defendants in their individual capacities. SECOND CLAIM FOR RELIEF (For Violations of the Due Process Clause of the Fourteenth Amendment Under Color Of State Law; Section 1983) 12 11 13 95. Each paragraph of this Complaint is incorporated as if restated fully 14 herein. 15 96. The acts described above constitute violations of HRDC’s rights, the 16 rights of other correspondents who have attempted to or intend to correspond with 17 prisoners at the Jail, and the rights of prisoners confined at the Jail, under the 18 Fourteenth Amendment of the United States Constitution. 19 97. HRDC has a right under the Due Process Clause of the Fourteenth 20 Amendment to receive notice and an opportunity to object and/or appeal 21 Defendants’ decisions to prevent Plaintiff’s mail from reaching prisoners at the Jail. 22 98. Defendants’ policy and practice of censoring HRDC’S information 23 packets, renewal letters, court opinions and magazines fails to provide Plaintiff with 24 individualized notice of the censorship or an opportunity to be heard. 25 99. The conduct of Defendants was objectively unreasonable and was 26 undertaken intentionally with malice, willfulness, and reckless indifference to the 27 rights of others. 28 [3138846.5] 100. HRDC’s injuries and the violations of its constitutional rights were 27 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 30 of 32 Page ID #:30 1 directly and proximately caused by the policies and practices of Defendants, and 2 which were the moving force behind the same. 3 101. The acts described above have caused damages to HRDC, and if not 4 enjoined, will continue to cause damage to HRDC. 5 102. HRDC seeks declaratory and injunctive relief, and nominal and 6 compensatory damages against all Defendants, except that it does not seek 7 injunctive relief against Defendant MCDONALD. HRDC seeks punitive damages 8 against the individual Defendants in their individual capacities. 9 10 11 THIRD CLAIM FOR RELIEF (For Violations of the Bane Act, California Civil Code Section 52.1) 103. Each paragraph of this Complaint is incorporated as if restated fully 12 herein. 13 104. The acts described above constitute violations of HRDC’s rights under 14 California Civil Code § 52.1, in that they constitute interference by threats, 15 intimidation, and/or coercion with the exercise or enjoyment of HRDC’s rights 16 secured by the Constitution and laws of the United States and Constitution and laws 17 of California. Defendants’ actions have caused actual damages to HRDC within the 18 meaning of California Civil Code §§ 52 and 52.1. 19 105. As a proximate result of the conduct of Defendants, HRDC is also 20 entitled to injunctive relief and an award of exemplary damages, civil penalties, and 21 attorneys’ fees, as provided by California Civil Code §§ 52 and 52.1, except that it 22 does not seek injunctive relief against Defendant MCDONALD. 23 24 25 FOURTH CLAIM FOR RELIEF (For Violations of Article I, Section 2 of California Constitution – Free Speech) 106. Each paragraph of this Complaint is incorporated as if restated fully 26 herein. 27 107. The acts described above constitute violations of HRDC’s speech rights 28 under Article I, Section 2 of the California Constitution and have caused damage to [3138846.5] 28 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 31 of 32 Page ID #:31 1 HRDC, and will continue to cause damage. 2 108. As a result of the conduct of Defendants, HRDC seeks declaratory and 3 injunctive relief against all Defendants, except that it does not seek injunctive relief 4 against Defendant MCDONALD. 5 6 7 FIFTH CLAIM FOR RELIEF (For Violations of Article I, Section 7 of California Constitution – Due Process) 109. Each paragraph of this Complaint is incorporated as if restated fully 8 herein. 9 110. By failing to give HRDC sufficient notice of the censorship of its 10 publications, and an opportunity to be heard with respect to that censorship, 11 Defendants have deprived and continue to deprive HRDC of liberty and property 12 without due process of law, in violation of the Article I, Section 7 of the California 13 Constitution, and have caused damage to HRDC, and will continue to cause 14 damage. 15 111. As a result of the conduct of Defendants, HRDC seeks declaratory and 16 injunctive relief against all Defendants, except that it does not seek injunctive relief 17 against Defendant MCDONALD. 18 PRAYER FOR RELIEF 19 WHEREFORE, Plaintiff requests relief as follows: 20 1. A declaration that Defendants’ policies and practices violate the U.S. 21 Constitution and California Constitution; 22 2. A preliminary and permanent injunction preventing Defendants from 23 continuing to violate the U.S. Constitution and California Constitution, and 24 providing other equitable relief; 25 3. Nominal damages for each violation of HRDC’s rights by the 26 Defendants; [3138846.5] 27 4. Compensatory damages in an amount to be proved at trial; 28 5. Punitive damages against the individual Defendants in an amount to be 29 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES Case 2:17-cv-04883 Document 1 Filed 07/03/17 Page 32 of 32 Page ID #:32 1 proved at trial; 2 6. Costs, including reasonable attorneys’ fees, under 42 U.S.C. § 1988 3 and under other applicable law, including but not limited to California Civil Code 4 § 52.1 and California Code of Civil Procedure § 1021.5; and 5 7. Any other such relief that this Court deems just and equitable. 6 7 DATED: July 3, 2017 8 ROSEN BIEN GALVAN & GRUNFELD LLP 9 By: /s/ Jeffrey L. Bornstein Jeffrey L. Bornstein 10 11 Attorneys for Plaintiff 12 13 14 Respectfully submitted, DEMAND FOR JURY TRIAL Plaintiff, the Human Rights Defense Center, hereby demands a trial by jury 15 pursuant to Federal Rule of Civil Procedure 38(b) on all issues so triable. 16 17 DATED: July 3, 2017 18 19 20 21 22 Respectfully submitted, ROSEN BIEN GALVAN & GRUNFELD LLP By: /s/ Jeffrey L. Bornstein Jeffrey L. Bornstein Attorneys for Plaintiff 23 24 25 26 27 28 [3138846.5] 30 COMPLAINT FOR DECLARATORY AND INJUNCTIVE RELIEF AND DAMAGES