Phillip Cordell v. Glen McKinney

759 F.3d 573, 2014 WL 3455556, 2014 U.S. App. LEXIS 13500
CourtCourt of Appeals for the Sixth Circuit
DecidedJuly 16, 2014
Docket13-4203
StatusPublished
Cited by255 cases

This text of 759 F.3d 573 (Phillip Cordell v. Glen McKinney) is published on Counsel Stack Legal Research, covering Court of Appeals for the Sixth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Phillip Cordell v. Glen McKinney, 759 F.3d 573, 2014 WL 3455556, 2014 U.S. App. LEXIS 13500 (6th Cir. 2014).

Opinion

OPINION

KAREN NELSON MOORE, Circuit Judge.

Phillip Cordell filed suit under 42 U.S.C. § 1983 alleging that Deputy Sheriff Glen McKinney ran afoul of the Constitution’s guarantees under the Eighth Amendment when he slammed Cordell, who was handcuffed and restrained, headfirst into a concrete wall. The district court rejected Cordell’s suit, granting summary judgment and qualified immunity to Deputy McKinney. A genuine dispute as to several material facts exists, however, and if Cordell’s version of events is credited, a reasonable jury could conclude that Deputy McKinney inflicted serious pain upon Cordell with malicious and sadistic intent. Moreover, we conclude that any reasonable jail official would know that the Eighth Amendment prohibits the conduct that Cordell accuses Deputy McKinney of exhibiting in the particular factual circumstances in which that conduct occurred. As a result, we REVERSE the district court’s grants of summary judgment and qualified immunity, and we REMAND for further proceedings consistent with this opinion.

I. FACTS & PROCEDURAL HISTORY

From November 7, 2008 until July 23, 2009, Cordell was an inmate at the Greene County Jail in Xenia, Ohio. R. 26-1 at 20:7-17 (Cordell Dep.) (Page ID # 133). On July 13, he pleaded guilty to involuntary manslaughter. Id. at 17:2-16 (Page ID # 130). Afterwards, Cordell was in a cell on the second floor of the jail as he awaited transfer to a state penitentiary to serve his sixty-month sentence. Id. at 19:13-15 (Page ID # 132).

In the late afternoon of July 20, McKinney was the deputy sheriff charged with overseeing the inmates on the second floor. R. 29 at 12:8-14 (McKinney Dep.) (Page ID #249). As Deputy McKinney performed his initial rounds on the floor, several inmates, including Cordell, requested haircuts. Id. at 12:15-18 (Page ID # 249). According to Cordell, Deputy McKinney responded to this request by stating, “ ‘Don’t fuck with me about being put on *577 the haircut list, or your sorry ass won’t get one.’ ” R. 26-1 at 26:15-16 (Cordell Dep.) (Page ID # 139). Perhaps unsurprisingly, Deputy McKinney remembers his statement being less vulgar. See R. 29 at 12:17-23 (McKinney Dep.) (Page ID # 249). Both parties, however, agree that Cordell responded with some version of “ ‘Fuck you, you sawed-off piece of shit.’ ” R. 26-1 at 26:17-18 (Cordell Dep.) (Page ID # 139); see also R. 29 at 15:7 (McKinney Dep.) (Page ID # 252).

This outburst did not sit well with Deputy McKinney. He commanded Cordell to step into the vestibule area so that Deputy McKinney could place Cordell in handcuffs and escort him to a holding cell on the third floor of the jail. R. 29 at 16:2-4 (McKinney Dep.) (Page ID #253). Cor-dell claimed that he “was in complete compliance” with Deputy McKinney’s commands. R. 26-1 at 31:14 (Cordell Dep.) (Page ID # 144). In contrast, Deputy McKinney stated that Cordell was “verbally aggressive,” “not listening to [Deputy McKinney’s] commands,” and “getting the rest of the block ... agitated.” R. 29 at 16:5-8, 17:6-7 (McKinney Dep.) (Page ID #253, 254). This behavior, according to Deputy McKinney, forced him to display his Taser and call for backup. Id. at 16:18-24 (Page ID #253). Correctional Officer Brian Marzluf responded first, and Deputy McKinney handed him the Taser and began to handcuff Cordell. Id. at 17:23-18:5 (Page ID #254-55); R. 30 at 11:5-10 (Marzluf Dep.) (Page ID #351). By the time Deputy McKinney finished placing Cordell in handcuffs, Sergeant David Jones and Deputy Sheriff William Coe arrived on the cellbloek. R. 32 at 14:26-19 (Jones Dep.) (Page ID # 420); R. 33 at 13:13-17 (Coe Dep.) (Page ID # 467).

Deputy McKinney then placed Cordell “[i]n an escort position” and began leading him to the third-floor holding cell. R. 29 at 19:25 (McKinney Dep.) (Page ID # 256). Cordell described this position as “[w]hen your hands are behind your back and somebody tries to raise them laterally up toward your shoulders, it’s a submission[style hold].” R. 26-1 at 33:15-19 (Cordell Dep.) (Page ID # 146). Having put Cor-dell in this position, Deputy McKinney began to move Cordell “in a brisk fashion.” Id. at 33:19-20 (Page ID # 146); see also R. 32 at 17:8-9 (Jones Dep.) (Page ID # 423) (“Deputy McKinney did move [Cor-dell] at a brisk pace.”); R. 33 at 17:6-14 (Coe Dep.) (Page ID # 471) (acknowledging that Deputy McKinney was walking Cordell quickly). Deputy McKinney, Cordell, and the other officers traveled through the second-floor office and up a flight of stairs without incident. See R. 26-1 at 33:24-34:25 (Cordell Dep.) (Page ID # 147); Security Video, Cordell 1 at 17:12:35.44-17:12:40.52.

Near the top of the stairs, Deputy McKinney and Cordell paused. Deputy McKinney “double-locked” Cordell’s handcuffs, preventing them from tightening further, and waited for the other officers to reach the landing. R. 26-1 at 35:1, 35:17-24 (Cordell Dep.) (Page ID # 148). While the procession was stopped, Nurse Deborah Jordan joined the group. R. 31 at 11:4-7 (Jordan Dep.) (Page ID # 380). Then, Deputy McKinney started to march Cordell down the third-floor hallway. R. 26-1 at 37:20-25 (Cordell Dep.) (Page ID # 150). This hallway “does a dogleg, goes down 30, 40 feet, turns to the right, [and] immediately turns to the left.” Id. at 37:17-19 (Page ID #150). According to Cordell, “[Deputy] McKinney startfed] pushing [him] faster and faster [down this hallway] and raising [Cordell’s] arms behind [Cordell’s] back.” Id. at 37:21-23 (Page ID # 150). Cordell “tried to turn around to see what [McKinney’s] intentions [were], why he [was] trying to push [Cordell] so fast.” Id. at 41:16-17 (Page ID # 154). In response, Cordell claimed, *578 Deputy McKinney ran him “head first into the wall” with force sufficient to lacerate Cordell’s forehead, cause severe neck and back pain, and leave him “very, very groggy.” Id. at 61:17-23 (Page ID # 174); id. at 57:22 (Page ID # 170).

Deputy McKinney described this sequence of events differently. According to Deputy McKinney, he walked Cordell “at a steady pace ..., a pace that [he knew he] need[ed] to move [Cordell at] to get him where [Deputy McKinney] want[ed] him to go so [the officers] [could] ... control the situation.” R. 29 at 70:14-15, 70:20-22 (McKinney Dep.) (Page ID # 307). Deputy McKinney stated that Cordell “start[ed] tensing up” in the hallway and that Deputy McKinney warned Cordell to stop. Id. at 19:15, 19:19-20 (Page ID #256). When Cordell failed to face forward, Deputy McKinney “placed him against the wall within, the hallway.” Id. at 19:21-22 (Page ID #256). In Deputy McKinney’s opinion, he “used the minimum amount of force necessary to control ... Inmate Cordell.” Id. at 27:17-18 (Page ID # 274).

The security video captures Deputy McKinney and Cordell entering the empty hallway. Security Video, Cordell 2 at 17:12:55.67. It also shows Cordell turning his head toward Deputy McKinney, who has Cordell’s arms secured. Id. at 17:12:57.01-17:12:57.81.

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Bluebook (online)
759 F.3d 573, 2014 WL 3455556, 2014 U.S. App. LEXIS 13500, Counsel Stack Legal Research, https://law.counselstack.com/opinion/phillip-cordell-v-glen-mckinney-ca6-2014.