Hayes v. Dahkle, No. 19-650 (2d Cir. 2020)
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Plaintiff, a New York inmate, filed a 42 U.S.C. 1983 suit alleging that all employees of the DOCCS violated his constitutional rights under the First and Eighth Amendments when they sexually assaulted him and retaliated against him for filing grievances. The district court granted summary judgment to defendants in part based on its conclusion that plaintiff failed to exhaust administrative remedies as required by the Prison Litigation Reform Act (PLRA).
The Second Circuit held that where, as here, an inmate follows the steps prescribed by the DOCCS Inmate Grievance Procedure but prison officials do not respond to the inmate's final appeal within the time allotted under the regulations, he has exhausted administrative remedies under the PLRA. The court held that plaintiff raised a triable issue of fact as to his retaliation claim against Defendant Hoffman but not as to his retaliation claim against Defendant Iarusso. The court also held that the district court erred in granting summary judgment on plaintiff's Eighth Amendment claim against Defendant Dahlke where plaintiff alleged facts sufficient to survive summary judgment as to whether his rights were violated during Dahlke's pat and frisk. The court affirmed in part, reversed in part, and remanded for further proceedings.
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