Glisson v. Indiana Department of Corrections

Glisson was diagnosed with laryngeal cancer. His larynx, part of his pharynx, portions of his mandible and 13 teeth were removed. He was fitted with a voice prosthesis, and received postoperative radiation treatment. Later, doctors inserted a gastrojejunostomy tube to help with nutrition and a cancerous lesion on his tongue was excised. Glisson also suffered memory issues, hypothyroidism, depression, smoking, and alcohol abuse. Glisson was sentenced to incarceration for giving a friend prescription painkillers. Prison medical personnel noted spikes in Glisson’s blood pressure, low pulse, low oxygen saturation level, confusion, and anger. His condition worsened, indicating acute renal failure. After a short hospital stay, Glisson died in prison. The district court rejected his mother’s suit under 42 U.S.C. 1983 on summary judgment. The Seventh Circuit initially affirmed, rejecting a claim that failure to implement an Indiana Department of Corrections Health Care Service Directive, requiring a plan for management of chronic diseases, violated the Eighth Amendment. On rehearing, en banc, the court reversed. The Department’s healthcare contractor, Corizon, was not constitutionally required to adopt the Directives or any particular document, but was required to ensure that a well-recognized risk for a defined class of prisoners not be deliberately left to happenstance. Corizon had notice of the problems posed by lack of coordination, but did nothing to address that risk. Glisson was managing his difficult medical situation successfully until he fell into the hands of the Indiana prison system and Corizon. View "Glisson v. Indiana Department of Corrections" on Justia Law