ICE Detention Standards Compliance Audit - Titus County Detention Center, Mount Pleasant, TX, ICE, 2007
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If~-~ [C ~- - _ rea t i v e ~cDrrectiDns 6415 Calder, Suite B • Beaumont, Texas 77706 409.866.9920 • www.correctionalexperts.com Making a Difference! Date: November 15, 2007 MEMORANDUM FOR: John P. Tomes Director Office of Detention and Removal FROM: b6,b7c ~ Reviewer-In-Charge' - ~ b6,b7c Titus County Detention Center Initial Review SUBJECT: Creative Corrections conducted an Initial Review of the Titus County Detention Center (TCDC), located in Titus, Texas, November 12-14,2007. The facility has an Intergovernmental Services Agreement (IGSA) with the United States Marshal Services (USMS). Immigration and Customs Enforcement (ICE) utilizes the existing agreement to house detainees for over 72 hours. As noted on the attached documents, the team of Subject Matter Experts (SME) included b6,b7c b6 b6,b7c Security; Health Services; Safety; b6 b6 , Food Services; and , Senior Project Manager. A closeout meeting was held on November 14,2007, with Sheriff Arvel P. Shepard and his staff. All deficiencies, concerns, and recommendations were discussed. Type of Review This review is a scheduled Detention Standard Review to determine general compliance with established ICE National Detention Standards. Review Summary The facility was constructed in 1991 and is not currently accredited by the American Correctional Association (ACA), National Commission on Correctional Health Care (NCCHC) or the Joint Commission on Accreditation of Healthcare Organizations (JCAHO). FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Standards Compliance The following information summarizes the standards reviewed and the overall compliance for this review: November 12-14, 2007 Review Compliant Deficient At-Risk Not Applicable 34 4 o o Post Orders - Deficient ICE provides officers all necessary guidance for carrying out their duties. This guidance includes the post orders established for every post, which are reviewed at least annually, and given to each officer upon assignment to that post. • No policy or written Post Orders were in place. Recommendations • The facility should develop and implement Post Orders, which are consistent with ICE Detainee standards. Environmental Health and Safety - Deficient Every facility will control flammable, toxic and caustic materials through a hazardous materials program. The program will include, among other things, the identification and labeling of hazardous materials in accordance with applicable standards (National Fire Protection Association (NFPA), identification of incompatible materials, and safe-handling procedures. • There is no system or written policy/procedures for storing, issuing, and maintaining inventories of hazardous materials. • Constant inventories are not being maintained for all hazardous chemicals. • There was no listing of all chemical storage areas that included a plant diagram. • The proper personal protective equipment to be used when handling hazardous chemicals was not noted in appropriate areas. • The detainees were unsupervised in areas with unsecured hazardous chemicals. FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) • Vents needed cleaning to ensure proper airflow. Unit showers were in very poor sanitary condition. A number of ceiling tiles throughout the facility were badly stained and needed replacing. • Living units did not have appropriate temperatures. Three units (L, M, and G) were checked and temperatures were 63, 63, and 65, respectively. • Several chemicals were not stored in the original containers. The containers had no markings or identifications of any kind. • There was no documentation of any training for detainees using hazardous chemicals. • The secondary fire exit from the kitchen was blocked on several occasions. • The current officer conducting monthly safety and fire inspections does not have any specialized training. • Fire drills are being conducted on a quarterly basis; however, required monthly drills are not being completed. • There are no standard operating procedures for using equipment, cleaners or disinfectants and a comprehensive cleaning schedule is not posted. • There were no spill kits available. • • b2High There are no written procedures concerning blood and body fluid exposures during an emergency. Recommendations • There should be a specific policy and procedure on hazardous materials. The program must include accountability, supervision, and proper labeling of all chemical containers. Staff should be trained in the use of equipment (gloves, goggles, etc.) and be provided Material Safety Data Sheet (MSDS). • The cleaning of vents and unit showers should be a priority. • The unit showers need repainting. Numerous stained and damaged ceiling tiles need replacing. • The heating and cooling system needs repair to ensure all dorms receive proper heating and cooling. FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) • Procedures are needed in the kitchen to ensure the fire exit is not blocked. • The officer conducting fire and safety inspections should receive training from an appropriate source. • The Fire Drill Program is comprehensive and well documented; however, drills need to be conducted each month. • The Sanitation Plan should include additional guidance in using sanitation equipment, use of sanitation chemicals and a more detailed cleaning schedule. • Unused sharps in Medical Services should be inventoried and tracked. • A spill kit should be purchased or developed in-house to respond to blood spills. • Written procedures need to be developed to instruct staff on proper procedures for responding to blood or body fluid exposures. Hunger Strikes - Deficient All facilities will follow standard guidelines for the medical and administrative management of ICE detainees engaging in hunger strikes. By monitoring the health and welfare of the individual detainees, facilities will strive to sustain their lives. • • • There is no policy or procedure that requires staff to isolate a hunger-striking detainee from other detainees. The medical staff does not have any policies or procedures that record the weight and vital signs of a hunger-striking detainee at least every 24 hours. A policy does not exist for documenting when a hunger strike starts and that three meals per day are offered to the detainee. • There is no policy that requires staff to record the striking detainee's fluid intake. • There is no policy for staff to document all treatment attempts, including informing the hunger striker of medical risks. • Staff should be trained in the identification of hunger strikes. Staff should remain current in evaluation and treatment techniques. FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Recommendations • Develop written policy for the management of hunger strikes that addresses the above noted deficiencies. Tool Control- Deficient It is the policy of all facilities that all employees shall be responsible for complying with the tool control policy. The Maintenance Supervisor shall maintain a computer generated or typewritten master inventory list of tools and equipment and the location in which tools are stored. These inventories shall be current, on file and readily available for tool inventory and accountability during an audit. • The facility has no written tool control policy and does not control tools appropriately. • All tools should be stored in secured areas and shadow boards should be utilized to aid in identification. • A portable tool cart maintained inside the supervisor's office had no inventory. Recommendations • A tool control policy should be created which adheres to ICE Detention Tool Control Standards. • The facility should develop and implement a tool classification system. • The facility should establish written procedures for marking/etching tools to identify the storage area. • The facility should develop shadow boards and maintain accurate inventories of all tools in all locations. RIC Issues and Concerns There are concerns in the areas of Detainee Handbook, Detainee Grievance Procedures, Food Service, Funds and Personal Property, and Visiting as follows: Detainee Handbook • The Detainee Handbook needs to be translated into Spanish. • An annual review of the handbook needs to be completed. • The handbook needs some additional clarification to include information on classification, special management units, count and meal times, clothing exchange, and FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) • telephone usage during peak times. The handbook should identify procedures for the assistance to detainees at all levels of the grievance process. Detainee Grievance Procedures • Expand the Titus County Jail Grievance Plan to include specific verbiage that provides assistance to detainees when preparing a grievance. The plan should include previsions for those who are illiterate, disabled, and/or non-English speaking. • The policy should also include directions to forward any grievance that involves officer misconduct to a manager and/or ICE. Food Service • There are no detainee job descriptions in place at this facility. Job descriptions need to be written, signed by the detainee and maintained in the detainee file. • There was no documentation of training for detainee workers available for review. Workers need to be trained and the documentation placed in the detainee files. • There is not a 35-day cycle menu at this facility. This menu needs to be developed and approved by a registered dietician. • There is not a Common Fare Program at this facility. A program should be established to comply with ICE standards. • Religious ceremonial meals are not served. The Food Service Department should obtain a list of these meals. Detainees who chose to participate in the Common Fare Diet Program should receive meals in compliance with ICE requirements. • The carts used to transport food to the housing units are subject to tampering. Food carts with locking devices should be used to prevent tampering. • Detainees are not receiving a pre-employment medical examination. In order to prevent the spread of infectious diseases, an examination should be completed by Medical Services prior to assignment in Food Service. Funds and Personal Property • There are no written policies on handling abandoned detainee property. Written procedures should be established for the disposition of abandoned property per ICE standards. FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Visiting • When detainees arrive, they should be provided information concerning pro bono legal organizations. Recommended Rating and Justification It is the RIC recommendation that the facility receive a rating of "Acceptable." It is also recommended that a Plan of Action be required to correct the non-compliant standards identified during this review. RIC Assurance Statement All findings of this review have been documented on Form CC-324A and are supported by the written documentation contained in the review file. FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Creative Corrections Beaumont, Texas Facilities Used Over 72 hours A. Type of Facility Reviewed ICE Service Processing Center ICE Contract Detention Facility [gJ ICE Intergovernmental Service Agreement o o I Estimated Man-days Per Year G. Accreditation Certificates List all State or National Accreditation[s] received: B. Current Inspection Type ofInspection D Field Office [gJ HQ Inspection Date[s] of Facility Review November 12,2007 [gj Check box if facility has no accreditation[s] H. Problems I Complaints (Copies must be attached) The Facility is under Court Order or Class Action Finding Court Order 0 Class Action Order The Facility has Significant Litigation Pending Major Litigation 0 Life/Safety Issues [gj Check ifNoneo o o C. PreviouslMost Recent Facility Review Date[s] of Last Facility Review Noprevious review. Previous Rating D Superior 0 Good 0 Acceptable Deficient 0 At-Risk O 1 FaCllty T H Istory Date Built 1991 Date Last Remodeled or Upgraded D Namean d Location of Facility Name Titus County Detention Center Address (Street and Name) 304 S Van Buren St City, State and Zip Code Mount Pleasant, Texas 75455 County Titus Name and Title of Chief Executive Officer (Warden/OIC/Superintendent) Sheriff Arvel P Shepard Telephone # (Include Area Code) (903) b6,b7c Field Office / Sub-Office (List Office with oversight responsibilities) Dallas, Texas Distance from Field Office 110 miles E. Creative Corrections Review Team Name ofInspector (Last Name, Title and Duty Station) b6,b7c I RIC I Senior Administrator Name ofTeam Member / Title IDutyLocation SME / Security b6,b7c Name of Team Member / Title / Duty Location SME I Health Services b6 Name of Team Member / Title I Duty Location b6 SME I Food Service Name of Team Member / Title / Duty Location b6,b7c l SME / Safety Name of Team Member / Title / Duty Location / SPM I Senior Administrator b6 F CDFIIGSA Information Only Contract Number Date of Contract or IGSA No current ICE contract Basic Rates per Man-Day I Date New Construction I Bedspace Added Future Construction Planned DYes [gj No Date: Current Bedspace Future Bedspace (# New Beds only) 188 Number: Date: I J. Total Facility Population Total Facility Intake for previous 12 months 2987 Total ICE Mandays for Previous 12 months None K. Classification Level (ICE SPCs and CDFs Only) L-l L-2 L-3 N/A I AdultMale N/A N/A I Adult Female N/A N/A N/A L. F acility Ca lacity Rated Adult 182 Operational 188 Emer~ency 32 o Facility holds Juveniles Offenders 16 and older as Adults 0 M Average Dal01 y P opu Iafton ICE 0 I Adults USMS 31.45 Other 68.55 I N. Facility Staffing Level ISecurity: b2High ISupport: b2High Other Charges: (If None, Indicate N/A) , , , FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Form CC-324A Any attempted physical contact or physical contact that involves two or more offenders Oral, anal or vaginal penetration or attempted penetration involving at least 2 parties, whether it is consenting or non-consenting Routine transportation of detainees/offenders is not considered "forced" Any incident that involves four or more detainees/offenders, includes gang fights, organized multiple hunger strikes, work stoppages, hostage situations, major fires, or other large scale incidents. FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Form CC-324A SIS 7. 8. 9. 10. 11. 12. 13. 14. 15. 16. 17. Classification System Correspondence and Other Mail Detainee Handbook Food Service Funds and Personal Property Detainee Grievance Procedures Issuance and Exchange of Clothing, Bedding, and Towels Marriage Requests Non-Medical Emergency Escorted Trip Recreation Religious Practices V Work PrnorRm Health Services 18. 19. 20. Hunger Strikes Medical Care Suicide Prevention and Intervention Terminal Advanced Directives and Death 23. 24. 25. 26. 27. 28. 29. 30. 31. 32. 33. 34. 35. 36. 37. 38. Detention Files Disciplinary Policy Emergency Plans Environmental Health and Safety Hold Rooms in Detention Facilities Key and Lock Control Population Counts Post Orders Security Inspections Special Management Units (Administrative Segregation) Special Management Units (Disciplinary Segregation) Tool Control Transportation (Land management) Use of Force Staff / Detainee Communication (Added August 2003) Detainee Transfer (Added September 2004) findings (Deficient and At-Risk) require written comment describing the finding and what is necessary to meet compliance. FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Form CC-324A SIS Creative Corrections 6415 Calder, Suite B Beaumont, Texas 77706 ICE Detention Standards Compliance Review Worksheet (This document must be attached to each Creative Corrections Inspection Form) This form to be used for inspections of all/GSA facilities used over 72 hours reative corrections ~ o o Local Jail- IGSA State Facility -IGSA e en t'Ion FaCllty ICE Con t rac tOt Tt Name Titus County Detention Center Address (Street and Name) 304 S. Van Buren Street City, State and Zip Code Mount Pleasant, Texas 75455 County Titus Name and Title of Chief Executive Officer (Warden/OIC/Superintendent) Arvel Shepard, Sheriff Name and title of Reviewer-In-Charge b6,b7c Date[s] of Review November 12-14,2007 Type of Review [8l HeadquartersD Operational o Special Assessment o Other FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) CC-324A Detention Review Worksheet for IGSAs (Over-72 Hours) RIC. Review Assurance Statement By signing below, the Reviewer-In-Charge (RIC) certifies that all findings of noncompliance with policy or inadequate controls contained in the Inspection Report are supported by evidence that is sufficient and reliable. Furthermore, fmdings of noteworthy accomplishments are supported by sufficient and reliable evidence. Within the scope ofthe review, the facility is operating in accordance with applicable law and policy, and property and resources are efficiently used and adequately safeguarded, except for the deficiencies noted in the report. Reviewer-In-Charge: (print Name) b6,b7c b6,b7c Title & Duty Location RIC, Creative Corrections November 15,2007 Team Members Print Name, Title, & Duty Location b6,b7c Print Name, Title, & Duty Location SME I Security I Creative Corrections Print Name, Title, & Duty Location b6 b6,b7c l SME I Safety I Creative Corrections Print Name, Title, & Duty Location I SME I Health Services I Creative b6 I SPM I Senior Project Manager Corrections Print Name, Title, & Duty Location b6 Print Name, Title, & Duty Location I SME I Food Service I Creative Corrections Recommended Rating: o Superior o Good IZI Acceptable o Deficient OAt-Risk Comments: The facility did not have access to the Detention Standards prior to the review; however, they exhibited a willingness to align current procedures, as necessary, to become more compliant with ICE Standards in future operations. FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Form CC-324A SIS MANAGEMENT REVIEW I lae~ewAutItOflty· . The signature below constitutes review of this report and acceptance by the Office of days from receipt of this report to respond to all findings and recommendation lQDRO MANAGEMENT REVIEW: (Print Name) The Facility has 30 b6,b7c Signature b6,b7c b6,b7c Date Title Chief Final Rating: Comments: D Superior DGood ~ Acceptable D Deficient D At-Risk The Review Authority concurs with the recommended rating of "Acceptable". A Plan of Action is required to address the deficiencies identified in the Post Orders, Environmental Health and Safety, Hunger Strikes, and Tool Control Detention Standards. Although a Plan of Action is not required, the Field Office is requested to address the RIC Issues and Concerns with the facility in regard to: Detainee Handbook Detainee Grievance Procedures Food Service Funds and Personal Property Visiting FOR OFFICIAL USE ONLY (LAW ENFORCEMENT SENSITIVE) Form CC-324A SIS