Hicks v. LeBlanc, No. 22-30184 (5th Cir. 2023)
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Plaintiff brought a claim under 42 U.S.C. Section 1983 and Louisiana state law against Louisiana Department of Public Safety and Corrections (“DPSC”) supervisory officials Tracy DiBenedetto, Angela Griffin, and Sally Gryder in their individual capacities alleging that he was wrongfully detained for sixty days after the expiration of his prison sentence. The district court denied qualified immunity at the motion-to-dismiss stage for DiBenedetto and Gryder but found Griffin enjoys qualified immunity. DiBenedetto and Gryder appealed, arguing that they are entitled to qualified immunity because they neither violated Plaintiff’s constitutional rights nor acted unreasonably in light of clearly established law
The Fifth Circuit affirmed. The court first explained that Plaintiff’s right to timely release was clearly established under these particular circumstances because governing law required DPSC to follow the state court’s orders requiring them to credit the Arkansas time. Further, the court found that Plaintiff plausibly alleged that DiBenedetto and Gryder were direct participants in violating his right to timely release from prison. According to the complaint, DiBenedetto reviewed all of Plaintiff’s ARPs, knew he was not being credited for the Arkansas time, yet did not take any action to correct the error. Indeed, she personally informed Hicks that her (incorrect) calculation was correct and refused to modify it despite Hicks’ pointing out that his Arkansas time was not credited.
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