State ex rel. McDougald v. Greene
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The Supreme Court granted in part and denied in part Jerone McDougald's writ of mandamus to compel Larry Greene to provide documents in response to McDougald's public-records request, holding that McDougald was entitled to a writ of mandamus compelling Greene to allow him personally to inspect two of the three records he sought.
McDougald, an inmate at the Southern Ohio Correctional Facility (SOCF), sent a public-records request to Greene, the records custodian at SOCF, requesting to inspect three records. When Greene did not allow the inspection, McDougald filed the present complaint for a writ of mandamus. Also pending was McDougald's motion to consider the exhibits attached to his complaint as substantive evidence and his two motions for leave to amend. The Supreme Court granted the motion to consider evidence, granted in part and denied in part the writ of mandamus, and denied McDougald's request for an award of statutory damages, holding (1) McDougald was entitled to a writ of mandamus with respect to his request for two of the three records he requested; and (2) McDougald was not entitled to statutory damages.
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