Haney v. Thomas
Annotate this CaseAppellee, an inmate, allegedly assaulted another inmate. After a disciplinary report was submitted against Appellee, the Adjustment Committee (Committee) determined that Appellee was guilty of the infraction and sentenced Appellee accordingly. Appellee appealed the decision and filed a petition for declaration of rights, arguing that the Committee's reliance on information obtained from confidential informants violated his constitutional due process rights. After a rehearing, the Committee again declared Appellee guilty of the infraction. The trial court ultimately dismissed Appellee's petition, concluding that the Committee did not violate Appellee's due process rights. The court of appeals reversed, determining that there was insufficient evidence of the disciplinary charge against Appellee to pass the "some evidence" standard pronounced in Superintendent, Massachusetts Correctional Institution, Wadpole v. Hill. The Supreme Court affirmed, holding (1) the Committee, relying solely on the confidential informants' information, failed to supply some evidence to support its finding that the confidential informants and their information were credibl; and (2) accordingly, Appellee's due process rights were violated.
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