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Centurion of FL v. HRDC, FL, Motion to Dismss, Public Records Request, 2022

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Filing # 162200613 E-Filed 12/01/2022 02:30:01 PM

IN THE CIRCUIT COURT OF THE SEVENTH JUDICIAL CIRCUIT
IN M'D FOR PUTNAM COUNTY, FLORIDA
CENTURION OF FLORIDA, LLC,
Plaintiff,

No. 22-CA-357

V.

HUMAN RIGHTS DEFENSE CENTER, a not
for profit corporation; and THE ESTATE OF
CURTIS DETTMANN,
Defendants.

----------------I
DECLARATION OF PAUL WRIGHT IN SUPPORT OF
DEFENDANT HUMAN RIGHTS DEFENSE CENTER'S DISPOSITIVE MOTION
AND REQUEST FOR DAMAGES
I, Paul Wright, declare as follows:
1.

I am Executive Director of Human Rights Defense Center ("HRDC"), a

Defendant in this action. This declaration is based on personal knowledge and review of
HRDC's regularly maintained contemporaneous business records. I make this declaration in
support of HRDC's concurrently filed dispositive motion and request for actual damages. If
called, I could testify competently as follows.
2.

HRDC is a non-profit, IRS section 50l(c)(3) organization, incorporated in the

State of Washington and with principal offices in Lake Worth, Florida.
3.

HRDC was founded in 1990 as Prisoners' Legal News, and adopted its current

name in 2009. Its mission is to advocate for the human rights of people held in U.S. detention
facilities. Central to its mission is public and prisoner education. advocacy, and outreach in
furtherance of basic human rights, HRDC conducts newsgathering, reporting, and distribution of
many different criminal justice, legal, and self-help books and magazines. Since its founding, it
has continuously published Prison Legal News, a monthly periodical that that reports on prison-

related news and nationwide litigation related to abuses of prisoners. HRDC also engages in
litigation, media campaigns and outreach, public speaking and education, and testimony before
legislative and regulatory bodies.
4.

As an ongoing project in support of its investigative reporting, HRDC has

investigated and reported on the practices and approaches various government agencies and
private corporations serving state agencies take with respect to settling claims and lawsuits. As
part of that project, HRDC has made numerous public records requests and brought suit under
state and federal laws for settlement agreements and other documents revealing how agenciesand private corporations like Plaintiff Centurion of Florida, LLC ("'Centurion") acting on their
behalf-resolve claims against them. See, e.g., HRDC v. Centurion Healthcare ofNew Mexico,
LLC, et al., No. 101-CV-2021-01620 (N.M. 1st JDC 2021); HRDC v. Centurion of Vermont
LLC, et al., No. 2 l-CV-03976 (Vt. Super. 2021 ).

5.

In December 2019, HRDC made a public records request to Centurion under

Florida's Public Records Act as part of the ongoing research and reporting project described
above. After Centurion failed to produce documents as required~ HRDC brought suit. HRDC v.
Ce11t11rio11 ofFlorida, UC, et al., No. CACE19025141 (Fla. 17th Cir. Ct). A true and correct

copy ofHRDes complaint in that actio11 is attached as Exhibit A.
6.

On February 4, 2020, Centurion filed a motion to dismiss HRDC's complaint

based on its assertion that it was not a public agency under Florida law and was not required to
produce any documents. A true and correct copy of Centurion's motion to dismiss in that action
is attached as Exhibit B.
7.

After briefing, the 17th Judicial Circuit denied Centurion's motion to dismiss and

ordered it to show cause as to why it should not produce the documents. A true and correct copy

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of the court's June 18, 2021 order in that action is attached as Exhibit C.
8.

Following the court's order, Centurion and HRDC settled the suit, with Centurion

agreeing to produce the documents and pay HRDC's attorneys' fees. A true and correct copy of
the parties' settlement agreement in that action is attached as Exhibit D.
9.

Based on allegations made in the matter of McCrimmo11, et al. v. Centuriou of

Fla., LLC, et al., No. 3:20-cv-36-BJD-JRK (M.D.F.L. 2020) (the "Dettman Action"), HRDC
began investigating the allegations and obtained a copy of the publicly available complaint in the
Dettman Action. A true and correct copy of the complaint in the Dettman Action is attached as
Exhibit E.

10.

As part of its newsgathering and reporting, HRDC also obtained a copy of

Centurion's motion to dismiss and its relevant contract with the Florida Department of
Corrections ('~FDOC") for the provision of healthcare services. A true and correct copy of
Centurion's motion to dismiss the Dettman Action, which attached its relevant contract with
FDOC, is attached as Exhibit F.
11.

On June 27, 2022, HRDC sent Centurion a request under Florida's PRA for a

copy of its settlement agreement in the Dettman Action, attached as the sole exhibit to
Centurion's complaint in this matter. Centurion did not reply to HRDC's request until it filed
this suit.
12.

As a result of this improper suit by Centurion, HRDC has incurred a variety of

attorneys· fees and costs, as well as $12,650 in total actual damages. Those damages include
(a) $11,900 based on a lost fundraising and diversion of resources by virtue of the unnecessary

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expenditure of management hours during HRDC's fundraising season, 1 which occurs from
October 1 through December 31 and normally would have resulted in more solicitations to
donors but for Centurion~s suit, and (b) $750 based on a diversion of resources by virtue of the
unnecessary expenditure of staff hours, 2 which would have otherwise been devoted to additional
records requests, prisoner letter evaluations and responses, articles written, and issues researched
in furtherance of HRDC •s mission.

I declare W1der penalty of perjury wider the laws of the State of Florida that the foregoing
is true and correct and that this declaration was executed on December l, 2022, in Pahn Beach
County, Florida.

1 This amount accounts for 22 hours of my time, which I bill and am paid at $500 an hour, as
well as 2 hours of time for HRDC Deputy Director Kevi Brannelly, who bills at $450 an hour.

This amount accounts for 3 hours of time for HRDC Records Manager Tiffany Hollis, who bills
at $250 an hour.

2

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CERTIFICATE OF SERVICE

I HEREBY CERTIFY that pursuant to Rule 2.516(b)(l) of the Florida Rules of Judicial
Administration, a true and correct copy of the foregoing document was electronically filed
through the Florida Courts e-filing Portal, which will serve a copy on all counsel of record.

DATED this 1st day of December, 2022.

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