Burnett v. Griffith, No. 21-1293 (6th Cir. 2022)
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Burnett was charged with failure to appear for a work-detail program. At Burnett’s arraignment hearing, his behavior was so erratic that the court held Burnett in contempt and sentenced him to jail. A mental health representative advised Sergeant Griffith that Burnett should be placed on suicide watch. While being escorted to a cell, Burnett attempted to break away. Griffith pulled Burnett backward. Burnett continued his efforts. Griffith took him down to the floor with significant force, then knelt over Burnett in an effort to control him. Burnett continued moving. Officer Tessar joined Griffith. Burnett claims that he temporarily lost consciousness. Griffith called for assistance when he noticed that Burnett had a laceration on his head and was bleeding. Other officers and a nurse arrived. Burnett was taken to a hospital, where he received three stitches, then was discharged in good condition. Burnett claims that he suffers from PTSD, migraines, back pain, and personality changes.
The Sixth Circuit affirmed the dismissal of his 42 U.S.C. 1983 claims. The law at the time that Griffith acted did not provide him with fair warning that his actions would violate Burnett’s Eighth Amendment right to be free from the use of excessive force; his actions were not so egregious as to obviate the requirement of identifying precedent that places the statutory or constitutional question beyond debate.
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