Parsons v. Ryan, No. 13-16396 (9th Cir. 2014)
Annotate this CaseDefendants appealed an order certifying a class and a subclass of inmates in Arizona's prison system who claim that they are subject to systematic Eighth Amendment violations. Defendants argued that the district court abused its discretion in concluding that plaintiffs have demonstrated commonality and typicality under Rule 23(a). The court concluded that the district court did not abuse its discretion in determining that plaintiffs' claims depend upon common questions of law or fact that are answerable in one stroke. Here, plaintiffs are all inmates in ADC custody and each declares that he or she is being exposed, like all other members of the putative class, to a substantial risk of serious harm by the challenged ADC policies. Therefore, the court concluded that the district court did not err in determining that plaintiffs have satisfied the commonality and typicality requirement of Rule 23(a). Finally, the district court did not abuse its discretion in concluding that a single injunction and declaratory judgment could provide relief to each member of the proposed class and subclass. Accordingly, the court affirmed the judgment of the district court.
Court Description: Prisoner Civil Rights/Class Action. The panel affirmed the district court’s order certifying a class and a subclass of inmates in Arizona’s prison system who alleged that they were subjected to systemic Eighth Amendment violations. The panel held that the district court acted well within its broad discretion in concluding that the putative class of inmates challenging Arizona Department of Corrections’ health care policies and practices and the subclass of inmates challenging the isolation unit polices and practices satisfied the requirements for class certification set forth in Federal Rule of Civil Procedure 23. The panel held that certification of the class and subclass was appropriate with respect to Rule 23(a)(2)’s requirement of commonality because plaintiffs’ claims set forth common contentions whose truth or falsity could be determined in one stroke: whether the specified statewide policies and practices exposed them to a substantial risk of harm. The panel also held that the district court did not abuse its discretion in determining that the named plaintiffs, inmates in Arizona custody who alleged that they were exposed to a substantial risk of harm by the challenged polices and practices, satisfied the typicality requirement of Rule 23(a)(3). The panel held that considering the nature and contours of the relief sought by the plaintiffs, the district court did not abuse its discretion in concluding that a single injunction and declaratory judgment could provide relief to each member of the proposed class and subclass and therefore that plaintiffs satisfied Rule 23(b)(2).
The court issued a subsequent related opinion or order on April 21, 2015.
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