Cannon v. Newport, No. 16-1339 (7th Cir. 2017)Annotate this Case
In 2009, following a court-authorized interception of phone calls involving suspected drug traffickers, Milwaukee police obtained consent from Cannon’s son to search their home, found $14,000 in cash, and arrested Cannon, based on a report that a government informant had purchased cocaine, and borrowed a gun, from Cannon. Cannon posted bail but was not released because a new complaint charged him with giving a gun to an unauthorized person. Cannon eventually made bail, but was arrested after he moved without notifying the police. In 2011, Cannon was acquitted of the drug charge, but pleaded guilty to illegal possession of the gun, and a warrant issued for his arrest on new gun and drug charges. In 2013 Cannon obtained documents relating to his 2009 arrest and filed suit under 42 U.S.C. 1983. That suit was dismissed as premature, because his appeals were pending. In 2014 he was convicted of the 2011 charges and sentenced to 16 years’ imprisonment. In 2015 he filed two 42 U.S.C. 1983 lawsuits based on the 2009 events. The Seventh Circuit affirmed dismissal of the claims as barred by the six‐year statute of limitations and noted that Cannon has incurred four strikes under the Prison Litigation Reform Act, 28 U.S.C. 1915(g), so he may not file a federal civil action or appeal without prepaying all fees, unless he is in imminent danger of serious injury.