Lacy v. Butts

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Indiana requires all inmates convicted of a sex offense to complete the Sex Offender Management and Monitoring (INSOMM) program. INSOMM requires inmates to identify which illegal sexual acts they committed and how often. Based on their offense history, participants are sorted into risk groups for group therapy sessions. Higher‐risk groups must complete more hours of therapy. In therapy, participants must fill out workbooks that require them to describe all past acts of sexual violence and abuse, regardless of whether they were ever charged for those offenses. Participants enjoy neither immunity nor confidentiality for the disclosures. Inmates may not opt out of any part of INSOMM and must respond fully to all questions. A counselor who suspects that a participant has been deceptive or less than forthcoming may order polygraph testing. Failure to participate satisfactorily in INSOMM is a Major Conduct disciplinary violation. For a first offense, inmates are denied the opportunity to accrue good‐time credits to which they would otherwise be entitled by statute. Continuing violations are punishable by revocation of already‐acquired good‐time credits. Lacy filed a class action under 28 U.S.C. 2254. The Seventh Circuit affirmed that the disclosures required by INSOMM and the penalties imposed for non‐participation, taken together, amount to a violation of his Fifth Amendment right to be free from compelled self‐incrimination. View "Lacy v. Butts" on Justia Law