Opinion · Court of Appeals for the Eighth Circuit

Hickey v. Reeder

12 F.3d 754

Type
Opinion
Court
Court of Appeals for the Eighth Circuit
Jurisdiction
Federal
Date
1993-12-20
Topic
general

How later courts describe this case

  • recognizing that prison officials “may compel compliance with legitimate prison regulations” through the use of summary physical force
  • holding that using “stun guns” on nonviolent prisoners violates the Eighth Amendment
  • holding that the use of a stun gun on a non-violent inmate’s misconduct was “summary corporal punishment” that violated his right to be free from cruel and unusual punishment
  • holding that use of a Taser against an inmate violated the Eighth Amendment
  • noting that when used effectively, a stun gun “temporarily incapacitate[s] a threatening person, [giving] the officers involved momentary advantage and a chance to neutralize the threat”
  • noting that when used effectively, a stun gun “temporarily incapacitated a threatening person, [giving] the officers involved momentary advantage and a chance to neutralize the threat”
  • holding single use of stun gun against prisoner to compel compliance with order to sweep cell was excessive under the Eighth Amendment as a matter of law
  • finding a taser’s use more than de minimis only “if inflicted without legitimate reason ” (emphasis added)

Citator

UpLaw has not yet analyzed Hickey v. Reeder. The absence of a flag is not a finding that it is good law.

Cited by
151 opinions