Khan v. United States

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In 2006, 12 U.S. Marshals waited in Khan’s apartment, then arrested her at gunpoint for making false statements to HUD. When she asked to use the bathroom, a marshal patted her down and watched her pull down her underwear, urinate, and cleanse herself according to a Muslim ritual. The marshals refused to allow her to cover her head; while attempting to secure her in the squad car, a marshal touched her breasts, apparently unintentionally. She was convicted and sentenced to probation. Khan wrote to the Marshals Office of Professional Responsibility describing the indignities to which she was subjected and complaining about the absence of any female agents. The Office stated she was not entitled to know the outcome of the investigation. Three years later, Khan learned that the Service had found no evidence of misconduct. The Service did not respond to a second letter. In 2013, Khan mailed an administrative claim, requesting damages. She had not previously requested damages. The Service replied that the claim was untimely under the Federal Tort Claims Act two-year limit on filing claims alleging misconduct by federal officers, 28 U.S.C. 2401(b). The Seventh Circuit affirmed dismissal of her suit as time-barred, noting that it is also barred by state law. View "Khan v. United States" on Justia Law