Thomas v. Dart, No. 21-2458 (7th Cir. 2022)
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While incarcerated in Cook County Jail, Thomas was assaulted by another inmate. Seventeen months later, he filed suit under 42 U.S.C. 1983 and other federal statutes against Sheriff Dart, Cook County, and other Jail personnel, including corrections officers to whom he allegedly reported the inmate’s threat of violence. All of his claims were either dismissed or resolved against Thomas on summary judgment.
Years after litigation began, Thomas sought to amend his complaint for a third time to name as defendants intake clerks who screened him at the Jail; he alleged they purposely omitted from intake forms that he suffered from mental health problems and that this omission led to his assault. The court denied the motion to amend. Thomas challenged the denial of that motion, asserting that the ruling demonstrated the court’s bias against him. The Seventh Circuit affirmed. The amendment Thomas sought would have been futile and no bias against Thomas can reasonably be inferred from the district court’s adverse rulings. Thomas did not state a viable claim. Without more, simply being housed in the Jail’s general population, even while suffering from PTSD, is not a particular enough risk in the failure-to-protect context.
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