UNDERWOOD v. CAMDEN COUNTY OFFICE OF THE SHERIFF

CourtDistrict Court, D. New Jersey
DecidedMarch 28, 2024
Docket1:22-cv-02268
StatusUnknown

This text of UNDERWOOD v. CAMDEN COUNTY OFFICE OF THE SHERIFF (UNDERWOOD v. CAMDEN COUNTY OFFICE OF THE SHERIFF) is published on Counsel Stack Legal Research, covering District Court, D. New Jersey primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
UNDERWOOD v. CAMDEN COUNTY OFFICE OF THE SHERIFF, (D.N.J. 2024).

Opinion

NOT FOR PUBLICATION IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEW JERSEY CAMDEN VICINAGE KRYSTAL A. UNDERWOOD, ! HONORABLE KAREN M. WILLIAMS Plaintiff, Civil Action v, No. 22-2268 (KMW-SAK) ! CAMDEN COUNTY OFFICE OF THE! SHERIFF, et i OPINION Defendants.

APPEARANCES: THOMAS J. GOSSE, ESQ. 126 WHITE HORSE PIKE HADDON HEIGHTS, NJ 08035 Counsel for Plaintiff Krystal A. Underwood ANDREW §S. BROWN, ESQ. WILLIAM F. COOK, ESQ. BROWN & CONNERY, LLP 360 HADDON AVENUE, P.O. BOX 539 WESTMONT, NJ 08108 JAMES PATRICK CLANCY, ESQ. BROWN & CONNERY, LLP 6 NORTH BROAD STREET WOODBURY, NJ 08096 Counsel for Defendants Camden County Office of the Sheriff, Camden County Office of the Sherriff Emergency Response Team, Brad Boehly, Mark Kenmer, Zachary Kolins, Michael MeNaniee, Scot Mennel, Robert Plews, Donald Souder, David Wright, Camden County Prosecutor's Office, Joseph Miller CHRISTINE A. BARRIS, ESQ. OFFICE OF THE ATTORNEY GENERAL 25 MARKET STREET, P.O. BOX 116 TRENTON, NJ 08625

Counsel for Defendants Andrew Austin, Stephen Bezich, Sal Russomanno, CHRISTOPHER M. WOLK, ESQ. BLUMBERG & WOLK, LLC 158 DELAWARE STREET, P.O, BOX 68 WOODBURY, NJ 08906 Counsel for Defendant Detective Jason Harmon, Cherry Hill Police Department STEVEN K, PARNESS, ESQ. METHFESSEL & WERBEL 2025 LINCOLN HIGHWAY, SUITE 200 EDISON, NJ 08818 Counsel for Defendant Michael Higgins

WILLIAMS, District Judge: L INTRODUCTION Plaintiff Krystal A. Underwood (“Plaintiff”) brings this action against Defendant Michael Higgins (“Defendant Higgins”); Defendants Camden County Office of the Sheriff (““CCSO”), Camden County Office of the Sheriff Emergency Response Team (“SERT”), Boehly, Kemner, Kolins, McNamee, Plews,,Souder, and Write (collectively “CCSO Defendants”); Defendants Camden County Prosecutor’s Office, Austin, Bezich, Russomanno, Detective Miller (collectively “CCPO Defendants”); and the Cherry Hill Police Department (“CHPD”) and Detective Harman {collectively “CHPD Defendants”), alleging that each Defendant contributed to the violation of Plaintiff's constitutional rights, 42 U.S.C, § 1983, the New Jersey Civil Rights Act, N.J.S.A. 10:6- I] et seq., violations of common law, and the emotional and psychological! injuries Plaintiff sustained on February 28, 2020, when her apartment was entered by the SERT officers while they were executing a search warrant on the premises 308 Walnut Avenue, Gloucester City, New Jersey. This matter comes before the Court on each of Defendants’ Motions for Summary Judgment. (ECF Nos, 62, 63, 64, 65). Plaintiff opposes ail motions, (ECF Nos. 68, 73, 74, 75), and Defendants replied. (ECF Nos. 76, 77, 78, 79). Separately, Defendant Higgins opposed Defendant CHPD’s Motion for Summary Judgment (ECF No. 69), and Defendant CHPD did not reply. For the reasons that follow, Defendant Higgin’s Motion for Summary Judgment (ECF No. 62) is denied, CCSO Defendants’ Motion for Summary Judgment (ECF No. 63) is granted, CCPO Defendants’ Motion for Summary Judgment (ECF No. 64) is granted, and CHPD Defendants’ Motion for Summary Judgment (ECF No. 65) is granted.

' Pursuant to Local Civil Rule 78.1(b), this motion will be decided on the papers without oral argument.

Il. BACKGROUND In November of 2019, Plaintiff moved into the unit on the second floor of 308 Walnut Avenue, Gloucester City, NJ 08030. Def. CCSO, Motion for $.J., SMF (““CCSO SMF”) J 1. In February of 2020, Defendant CHPD and Defendant CCPO began investigating the distribution of marijuana, then a controlled dangerous substance, Def, CCPO, Motion for 8.J. SMF “°'CCPO SMF”) ff] 14-15. Reports from an informant suggested that the suspect resided at 308 Wainut Avenue. Jd. An undercover purchase was conducted at the property, as well as drive-by surveillance conducted by Defendant Plews of the SERT team, and Defendant Miller of the CCPO. CCPO SME 9ff 17-19. Defendant Miller performed additional research on the property to prepare for an application for a search warrant and used a website called “NJParcels.com” to confirm details about the property, namely, whether it was a single or multifamily unit. CCPO SMF 4 20; CHPD SMF { 44. The search warrant described 308 Walnut Avenue as a “single-family home with off-white color siding” with a single “white screen door” and a black mailbox to the right of this door. CCSO SMF § 8. On February 27, 2020, the search warrant was signed and approved as a “no-knock” warrant and the SERT team executed the warrant at 308 Walnut Ave the following day. CCPO SME 22-23. At approximately 6:00 AM on February 28, 2020, the SERT team entered the property through the front door, cleared the first floor area, and did not find the suspect. CCPO SMF □□ 25-26; Defendant CHPD, Motion for S.J. SMF (“CHPD SMF”) § 21; CCSO SMF § 20, The SERT team had information that led them to believe that the target was supposed to be at home, causing the team to expand their search for the suspect. CHPD SMF 18; CCSO SMF {ff 21-24. A second locked door was found outside on the side of the building. CCSO SMF 4 24. The SERT team contacted Defendant Plews and Defendant Miller, the warrant affiant, to determine if the team

could breach this door, CCSO SMF fff 26-27. It was confirmed by Defendant Plews that the warrant applied to the entire structure. Zd.; CHPD SMF § 20. The SERT team breached Plaintiffs front door and discovered Plaintiff in bed in a state of partial undress, permitting her to put on a sweater before being placed in zip ties until they finished their search, CCPO SMF ff 34-35; CHPD SMF { 11; Plaintiff's Opposition to Def. CHPD Motion for S.J. Supplemental Statement of Fact (“Pl. Opp. CHPD SMF”) 9] 147-151. Plaintiff notes that the testimony regarding how long the search was is inconsistent among the officers, noting that while some officers believe the search was quick, Detective Miller testified that the search of the two apartments took between thirty and forty five minutes. Plaintiffs Opposition to Def. CCSO Motion for 8.J. Supplemental Statement of Fact (““Pl. Opp. CCSO SME”) {| 86. Plaintiff further asserts that the officers behaved in an ageressive manner, intimidating her and causing her pain when she was restrained, and that officers did not affirmatively release Plaintiff from the zip ties but had to be chased down after they left Plaintiff’s unit. Pl. Opp. CCSO SMF 4ff 84-85, 87-88. Defendants and Plaintiff dispute as to whether the physical attributes of the home, both observed on the day, through previous surveillance, and information from Defendant Miller’s research, were sufficient to indicate to the officers involved that the home itself was not a single occupancy home, but in fact a duplex. Defendant Higgins Statement of Material Facts (HIG SMF”) ff] 4-8. Specifically, 308 Walnut Avenue was registered with the City of Gloucester Building Department as a duplex, there were two separate doors to each unit, painted different colors, with two separate mailboxes adjacent to each door, and two electrical meters outside of the home. id. Jf 4-8, 31.2 There is no internal staircase or passage to connect the two units. Id. □□

? Defendants argue that the electrical meters were not visible or viewed by them at any point during their surveillance or presence at the home, Defendant Higgins and Plaintiff assert that they were visible at least on the day of the search watrant’s execution. CHPD SMF 4 55, 59; HIG SMF 4] 35; Pl. Opp. CHPD SMF § 134.

29-30, All parties agree that there was no signage to indicate that the residences were two separate units, Ze, labels “A” and “B” or “1” and “2” on the individual doors, nor were there any names or distinguishing symbols on the mailboxes.

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UNDERWOOD v. CAMDEN COUNTY OFFICE OF THE SHERIFF, Counsel Stack Legal Research, https://law.counselstack.com/opinion/underwood-v-camden-county-office-of-the-sheriff-njd-2024.