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Justia Weekly Opinion Summaries

Communications Law
January 15, 2021

Table of Contents

Heyer v. United States Bureau of Prisons

Civil Rights, Communications Law, Constitutional Law

US Court of Appeals for the Fourth Circuit

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Communications Law Opinions

Heyer v. United States Bureau of Prisons

Court: US Court of Appeals for the Fourth Circuit

Docket: 19-7027

Opinion Date: January 13, 2021

Judge: Floyd

Areas of Law: Civil Rights, Communications Law, Constitutional Law

Heyer, a Deaf individual who communicates in ASL, is civilly committed as a sexually dangerous person. In prison and while civilly committed, Heyer’s access to the Deaf community has dwindled. Detainees in Heyer’s Unit can communicate with the outside by writing letters, in-person visits, the prison email system, and a TTY machine for making calls under the supervision of a Bureau of Prisons (BOP) staff member to preapproved numbers. BOP also installed a videophone in Heyer's unit and contracted with a provider of SecureVRS services for calls to preapproved numbers, with monitoring. SecureVRS calls do not allow Heyer to call Deaf friends. All of the available means of communication are problematic because Heyer’s English skills are “novice low. ”An expert concluded that his reading and writing skills mimic those of a seven-year-old. The district court held that the BOP’s refusal to allow Heyer to make point-to-point calls with other Deaf individuals did not violate his First Amendment rights. The Fourth Circuit reversed. Heyer’s constitutional rights are not defined merely by his civil detainee status or his past conduct. They are also defined by his status as a Deaf individual cut off from his community in a manner more complete than even foreign language prisoners. The district court erred by crediting BOP testimony about the risks of point-to-point calls without considering testimony about safety features that have managed those risks for other forms of communication it makes available.

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