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Sullivan v. Kasajaru

United States Court of Appeals, Sixth Circuit
Mar 13, 2009
316 F. App'x 469 (6th Cir. 2009)

Summary

finding that the current MDOC policy directive "explicitly required [the prisoner] to name each person against whom he grieved" and affirming the district court's dismissal of a prisoner's claim for failure to properly exhaust his administrative remedies

Summary of this case from Holloway v. McLaren

Opinion

No. 07-2220.

March 13, 2009.

On Appeal from the United States District Court for the Eastern District of Michigan.

Before: SILER, COOK, and McKEAGUE, Circuit Judges.


In this § 1983 case, pro se appellant Earl Sullivan alleges that Michigan Department of Corrections ("MDOC") medical officials and Dr. Radhika Kosaraju (collectively, the "Defendants") acted with deliberate indifference toward his serious medical needs. Specifically, Sullivan claims that the Defendants denied him medication after he filed a grievance narrating blood-pressure problems and difficulty urinating. But because Sullivan failed to name the Defendants in his earlier grievance, the Defendants filed a motion to dismiss, arguing that Sullivan failed to exhaust his administrative remedies as required under then-binding Sixth Circuit law. See, e.g., Burton v. Jones, 321 F.3d 569, 575 (6th Cir. 2003). The district court later denied the motion, citing an intervening Supreme Court case, Jones v. Bock, 549 U.S. 199, 127 S.Ct. 910, 166 L.Ed.2d 798 (2007), which rejected Sixth Circuit case law interpreting the Prison Litigation Reform Act as requiring a prisoner to identify "in the first step of the grievance process, each individual later named in the lawsuit to properly exhaust administrative remedies." Id. at 205, 127 S.Ct. 910 (citing Burton, 321 F.3d at 575). Notably, at the time the Jones prisoners filed their grievances, MDOC policy required only that they "be as specific as possible," and not that they "identify a particular responsible party." Id. at 218, 127 S.Ct. 910.

Dr. Kosaraju's name is misspelled in the official case caption.

The Defendants moved for reconsideration, arguing that when Sullivan filed his grievance, MDOC policy explicitly required him to name each person against whom he grieved. See Policy Directive No. 03.02.130 (effective April 28, 2003). Citing the Supreme Court's ruling in Woodford v. Ngo, 548 U.S. 81, 126 S.Ct. 2378, 165 L.Ed.2d 368 (2006), which held that "[p]roper exhaustion demands compliance with an agency's deadlines and other critical procedural rules," id. at 90, 126 S.Ct. 2378, the district court dismissed the case. See also Jones, 549 U.S. at 218, 127 S.Ct. 910 ("[I]t is the prison's requirements, and not the PLRA, that define the boundaries of proper exhaustion"). We agree and thus affirm.


Summaries of

Sullivan v. Kasajaru

United States Court of Appeals, Sixth Circuit
Mar 13, 2009
316 F. App'x 469 (6th Cir. 2009)

finding that the current MDOC policy directive "explicitly required [the prisoner] to name each person against whom he grieved" and affirming the district court's dismissal of a prisoner's claim for failure to properly exhaust his administrative remedies

Summary of this case from Holloway v. McLaren

affirming dismissal for failure to exhaust for failing to name a defendant in a grievance

Summary of this case from King v. Czop

affirming dismissal for failure to exhaust where the plaintiff failed to comply with the Michigan agency's procedural rule requiring the naming of each person against whom the plaintiff grieved

Summary of this case from Younker v. Ohio State Univ. Med. Ctr.

affirming dismissal for lack of exhaustion where prisoner failed follow requirements of Policy Directive 03.02.130, which explicitly required him to name each person against whom he grieved, citing Jones and Woodford

Summary of this case from Stone v. Crompton

affirming dismissal for lack of exhaustion where prisoner failed follow requirements of Policy Directive 03.02.130, which explicitly required him to name each person against whom he grieved, citing Jones and Woodford

Summary of this case from Jones v. Jensen

affirming dismissal for failure to exhaust where the plaintiff failed to comply with the Michigan agency's procedural rule requiring the naming of each person against whom the plaintiff grieved

Summary of this case from Rutherford v. Lamneck

affirming dismissal for lack of exhaustion where plaintiff failed to comply with MDOC Policy Directive No. 03.02.130, which explicitly required him to name in grievance each person against whom he grieved

Summary of this case from Trofatter v. Caruso

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Clinton v. Duby

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from McConer v. Decker

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Malott v. Weaver

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Johnson v. Wilkinson

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Werth v. Crompton

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Threatt v. Holmes

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Sebastian v. Leach

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Dunbar v. Rozen

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Bell v. Brown

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Ewing v. Finco

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Rains v. Lebarre

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Lee v. Tinerella

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Kimber v. Murphy

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Jones v. Brinkley

In Sullivan v. Kasajaru, 316 F. App'x 469 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Sango v. Watkins

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Jones v. Borgerding

In Sullivan v. Kasajaru, 316 F. App'x 469 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from Jones v. Sage

In Sullivan v. Kasajaru, 316 F. App'x 469, 470 (6th Cir. 2009), the Sixth Circuit held that this policy directive "explicitly required [the prisoner] to name each person against whom he grieved," and it affirmed the district court's dismissal of a prisoner's claim for failure to properly exhaust his available administrative remedies.

Summary of this case from LaDouceur v. First
Case details for

Sullivan v. Kasajaru

Case Details

Full title:Earl Lee SULLIVAN, Plaintiff-Appellant v. R. KASAJARU, Dr.; Ruth Ingrain…

Court:United States Court of Appeals, Sixth Circuit

Date published: Mar 13, 2009

Citations

316 F. App'x 469 (6th Cir. 2009)

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