Lane v. Salazar, No. 17-35868 (9th Cir. 2018)
Annotate this CaseThe Ninth Circuit affirmed the district court's denial of three petitions for habeas relief under 28 U.S.C. 2241 arising from proceedings where petitioner was disciplined for sending threatening letters from prison. The panel held that Bureau of Prisons Prohibited Acts Code 203, which prohibits inmates from threatening another with bodily harm or any other offense, addressed legitimate penological concerns in a manner that was sufficiently narrow to satisfy constitutional concerns. The panel also held that the BOP's actions were supported by sufficient evidence.
Court Description: Habeas Corpus. The panel affirmed the district court’s denials of three 28 U.S.C. § 2241 habeas corpus petitions arising from proceedings in which Mark Alan Lane, who was accused by the Bureau of Prisons of sending threatening letters from prison, was disciplined under BOP Prohibited Acts Code 203, which prohibits inmates from “[t]hreatening another with bodily harm or any other offense.” Lane contended that Code 203, construed to apply to non- true threats, is unlawfully broad and vague. The panel held that the Code 203’s prohibition on threats of bodily harm addresses legitimate penological concerns in a manner that is sufficiently narrow to satisfy constitutional concerns. The panel also held that the BOP’s actions were supported by sufficient evidence.
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