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ANAS DOWL, inmate # 345639
ERNEST JACOBSSON, inmate # 403566
Case No. 3:18-cv-00119-HRH
Plaintiffs,
vs.
DEAN WILLIAMS, Commissioner,
Alaska Department of Corrections, in his
official capacity, only; et al.,
Defendants.
WHEREAS, on May 22, 2018, Plaintiffs Anas Dowl (then an inmate at Anchorage
Correctional Complex) and Ernest Jacobsson (an inmate at Anchorage Correctional Complex)
(together “Plaintiffs”), by and through their attorneys CAIR Legal Defense Fund (“CAIR”),
filed this lawsuit for declaratory and injunctive relief arising under the First, Eighth and
Fourteenth Amendments to the United States Constitution, the Religious Land Use and
Institutionalized Persons Act of 2000 (“RLUIPA”) and 42 U.S.C. § 1983 against Defendant
Dean Williams, in his official capacity; Clare Sullivan, in her official capacity; April Wilkerson,
in her official and individual capacities; Sidney Wood, in his official and individual capacities;
Dan Aicher, in his official and individual capacities; Zane Nighswonger, in his official and
individual capacities; Jason Mata, in his official and individual capacities; Gerald Silliman, in
his official and individual capacities; Gwen Helms, in her individual capacity; and, Deborah
Luper, in her individual capacity; based upon the denial of a religious diet that satisfies
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nutritional and caloric requirements during the month of Ramadan. See Dkt. 1.
WHEREAS, on July 6, 2018, Plaintiffs amended this lawsuit to include claims based
upon the denial of participation in Friday religious services and Islamic study groups. See Dkt.
35.
WHEREAS, Plaintiffs challenge the Alaska Department of Corrections (“DOC”) for
implementing a religious dietary policy during the month of Ramadan that unreasonably
subjects Plaintiffs to cruel and unusual punishment, limits their religious exercise, discriminates
against Plaintiffs on the basis of religious denomination, and treats Plaintiffs on less than equal
terms with other religious and non-religious similarly-situated persons.
WHEREAS, Plaintiffs also challenge DOC for not permitting Plaintiffs and other
Muslim inmates to perform religious services and to participate in organized faith group
activities in violation of their rights to free exercise of religion, to be free from discrimination
on the basis of their religious denomination, and to be treated on equal terms with other
religious and non-religious similarly-situated persons.
WHEREAS, CAIR indicated a desire to help develop revised and improved statewide
policies.
WHEREAS, Defendants have indicated a desire to working with CAIR to adopt
revised and improved statewide policies.
THEREFORE, as a result of the foregoing, the parties agree and the Court hereby
enters the following Settlement Agreement.
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TERMS
1.
Injunctive Relief
In consideration for resolving Plaintiffs’ lawsuit, the DOC religious services and
religious diets and meals policies will be revised to implement the following provisions:
(1) Although DOC policy provides for a pre-Ramadan period for inmates to ask for
inclusion on the “Ramadan List” to receive the Ramadan diet, inmates may request to be
included on the Ramadan List at any time prior to and during Ramadan. DOC will fulfill said
requests within one business day.
(2) Muslim inmates fasting during the month of Ramadan will receive meals that consist
of a minimum of 3,000 average daily calories and that meet nutritional standards provided by
the U.S Department of Health and Human Services and U.S. Department of Agriculture
Dietary Guidelines for Americans;
(3) Muslim inmates fasting during the month of Ramadan will receive a minimum of
two hot meals between sunset and dawn;
(4) DOC officials are prohibited from removing Muslim inmates from the Ramadan
List for not participating in other religious accommodations or services, for disciplinary
reasons, or for any other reason;
(5) A daily log shall be kept that tracks the meals that are provided to inmates fasting
during the month of Ramadan;
(6) Muslim inmates will be provided with pork-free meals, and DOC will provide
ingredients labels to confirm the meals are pork-free;
(7) Muslim inmates are permitted to participate in weekly Friday religious services as a
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congregation;
(8) Muslim inmates are permitted to congregate for each of the five daily prayers in
their mods;
(9) Muslim inmates are permitted to facilitate Friday religious services and five daily
prayers;
(10) Muslim inmates are permitted to participate in Islamic study groups; and,
(11) CAIR will provide a videoconference religious sensitivity training to Department
of Corrections superintendents, chaplains, and grievance officers statewide. This training will
be provided free of charge by CAIR, and shall not exceed four hours.
***
WHEREAS, Defendants have already taken significant steps to adopt and implement
the above policies:
(1)
Defendants have revised Policy 805.03 Special and/or Religious Diets and
Meals on November 5, 2018 to adopt provisions 1, 2, 3, 4 and 6 (“Revised Special and/or
Religious Diets Policy”).
The Revised Special and/or Religious Diets Policy is hereby
incorporated by reference.
(2)
Defendants have taken steps to implement provisions 5, 7, 8, 9 and 10 and will
take the steps necessary to formally adopt them.
***
2. Monetary Relief
Defendants agree to pay Plaintiffs the sum of $102,500 in the form of damages, costs
and attorneys’ fees.
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3. Release and Settlement
In exchange for the consideration specified in paragraphs 2 and 3 of this Settlement
Agreement, Plaintiffs hereby fully and completely release and discharge Defendants in their
individual and official capacities from any and all claims asserted in this lawsuit, as well as
attorneys’ fees and costs.
4. Enforcement of Terms
Plaintiffs, along with all individuals who are impacted by terms of this agreement, may
enforce this agreement as third-party beneficiaries and/or intended beneficiaries. In the event
that a party to this agreement believes that the terms of the agreement have not been fulfilled,
the parties will make a good faith effort to resolve the matter before filing any motion with
the court to enforce the agreement.
5. Retention of Jurisdiction
The Parties agree that this Settlement Agreement should be appended to any order of
dismissal. The Parties further agree that the Court should retain jurisdiction over this
Settlement Agreement.
6. Modification
Should Defendants at any time seek to change to amend a policy that it agreed to adopt
as part of this settlement agreement, they will motion the court to amend the policy. Plaintiffs
shall have 21 days to submit any objection to the amendment, and DOC shall have 21 days to
respond to the objection, after which time the court shall determine whether a hearing or other
action is necessary. Whether or not Plaintiffs file a response, the Court will grant the motion
only if it finds that there is a significant change of circumstances warranting a modification.
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The parties will agree to the wording 0521 joint statement announcing this settlement.
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Read on this 3 day of 2019 and appreveei as
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National Litigation (Six ii l?ghts Director Assistant Awnings}? General
CAIR Legal Defense Fund State of Aiaska, Department (3f Law
hnasri@cair com matthias.eie0tte@aleske.gev
453 Newjersey Ave SE 1031 W. 4th Ave, Suite 280
Washingten, DC 20003 Anchemge, AK 99501
Phone: (202) 7426420 Plume: (907) 2696198
Fax: (202) 379-?3317 Fax: (907) 258u?760
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6
Case Document 62-1 Filed 09/05/19 Page 6 of 7
All parties having agreed, and the Court having reviewed it and found it equitable, IT IS
HEREBY ORDERED that this Settlement Agreement is ENTERED this ______ day of
_______________, 2019.
_________________________________
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