Nevada Bd. of Parole Comm'rs v. Morrow

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Justia Opinion Summary

The district courts reached different conclusions regarding whether inmates were entitled to due process protections related to their parole release hearings. In 2007, Respondent Richard Morrow was certified as not being a "high risk to reoffend" and granted parole. Before being released, the Parole Board's Psychological Review Panel assessed him as a "Tier III" sex offender which precluded Morrow from being released. Due to the new assessment, the Parole Board ultimately decided to defer Morrow's parole for two years. Morrow challenged the Parole Board's procedure by filing a writ of mandamus at the district court seeking a new parole hearing. Morrow argued that the Board violated his due process rights because it did not notify him of the reconsideration, and it denied him access to the documents it relied on when it deferred his parole. The district court granted the writ and directed the Board to schedule a new hearing. The Board appealed that decision. Appellant Brian Kamedula was sentenced to life with the possibility of parole. In 2008, the Parole Board denied Kamedula parole, and he appealed to the district court. Kamedula argued that the Board violated his due process rights by denying him the ability to present evidence or cross-examine witnesses during the parole hearing. The Board moved to dismiss the appeal, which the district court granted. Kamedula appealed that decision. In considering the issue on appeal, the Supreme Court noted that no statutory due process protections applied in these particular cases because the possibility of release on parole is not a protectable liberty interest for an inmate. Accordingly, the Court reversed the district court in Morrow's case, and affirmed the court in Kamedula's case.

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