Jody Greene Complaint Response
Jody Greene Complaint Response
Jody Greene Complaint Response
JOSHUA JOHNSON, )
)
Plaintiff, )
)
v. ) STEADMAN JODY GREENE'S
) ANSWER
STEADMAN JODY GREENE, in his ) AND
individual capacity; COLUMBUS COUNTY ) AFFIRMATIVE DEFENSES
SHERIFF WILLIAM ROGERS in his official )
capacity; BERNETTA CRAWFORD, in her )
individual capacity; TRINA WORLEY in her )
individual capacity; and WESTERN )
SURETY COMPANY, in its capacity as ) (Fed. R. Civ. P. 8(b)-(c))
Surety on the Official Bond of the Sheriff of )
Columbus County, )
)
Defendants. )
NOW COMES Defendant Steadman Jody Greene (hereinafter "Greene"), by and through
the undersigned counsel, pursuant to Rule 8 of the Federal Rules of Civil Procedure, and
Greene pleads qualified immunity as an affirmative defense and as a complete and total
Greene pleads public official immunity as an affirmative defense and as a complete and
defense and as a complete and total bar to the claims contained in the Complaint.
To the extent applicable, Greene adopts, and incorporates by reference, the affirmative
To the extent permissible, Greene reserves the right to move for leave to amend this
answer to assert additional affirmative defenses that become known or otherwise available as the
case develops.
ANSWER
Complaint as follows:
is admitted, upon information and belief, that inmates assaulted Plaintiff on August 3, 2022,
while he was housed at the Columbus County Detention Center (hereinafter "CCDC"). Greene is
remaining allegations contained in paragraph 1 of the Complaint and therefore denies the same.
and refer to a written document, the contents of which speak for themselves, and as such, no
contained in paragraph 2 of the Complaint are admitted. Any implication regarding the accuracy
and refer to a written document, the contents of which speak for themselves, and as such, no
contained in paragraph 3 of the Complaint are admitted. Any implication regarding the accuracy
Greene is without sufficient independent knowledge to form a belief as to the truth or falsity of
the allegations contained in paragraph 4 of the Complaint and therefore denies the same.
the allegation that Greene "flagrantly disregarded the safety of the detention center's inmates" is
denied. Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the remaining allegations contained in paragraph 5 of the Complaint and therefore
is admitted that paragraph 6 of the Complaint provides a summary of the claims for relief
advanced therein. Except as expressly herein admitted, the allegations contained in paragraph 6
10. The allegations contained in paragraph 10 of the Complaint are admitted upon
upon information and belief that Greene and Rogers were both insured during their respective
terms as Sheriff. The allegation that such insurance coverage waives various immunity defenses
is denied. Except as expressly herein admitted, the allegations contained in paragraph 13 of the
that 10A NCAC 14J .0601(a) requires detention officers to conduct surveillance rounds at least
twice an hour with not mor than 40 minutes between round and that they are required to observe
each inmate during each round. The allegation that Greene, in his individual capacity, had an
affirmative duty to conduct supervision rounds in accordance with 10A NCAC 14J .0601(a), and
upon information and belief, that inmates assaulted Plaintiff on August 3, 2022, while he was
housed at CCDC. Greene is without sufficient independent knowledge to form a belief as to the
truth or falsity of the remaining allegations contained in paragraph 21 of the Complaint and
NCAC 14J .0601(b) states that "[a] jail shall utilize one or more supplemental methods of
supervision 24 hours a day, 7 days a week." The allegation that Greene, in his individual
breached the same, is denied. Greene is without sufficient independent knowledge to form a
belief as to the truth or falsity of the remaining allegations contained in paragraph 22 of the
that surveillance cameras were set up throughout CCDC. References to Columbus County
Sheriff's Office policies refer to written documents the contents of which speak for themselves,
the allegations regarding the Columbus County Sheriff's Office policies are admitted upon
information and belief. The allegations regarding "a longstanding and well-established practice
of ignoring" the referenced policies is denied. Except as expressly herein admitted, the
that some of the inmates housed in CCDC, including HA-143, are pretrial detainees awaiting
resolution of criminal charges involving violent crimes. It is further admitted that fights between
inmates occur on occasion. Except as expressly herein admitted, the allegations contained in
allegations contained in paragraph 32 of the Complaint and therefore denies the same.
truth or falsity of the allegations regarding Crawford or her interactions with Plaintiff and
therefore denies the same. The remaining allegations contained in paragraph 33 of the Complaint
truth or falsity of the allegations regarding Crawford or her interactions with Plaintiff contained
in paragraph 34 of the Complaint and therefore denies the same. The remaining allegations
truth or falsity of the allegations regarding Crawfords actions contained in paragraph 35 of the
Complaint and as such denies the same. The remaining allegations contained in paragraph 35 of
36. Upon information and belief, the allegations contained in paragraph 36 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 36 of the Complaint and therefore denies the
same.
37. Upon information and belief, the allegations contained in paragraph 37 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
same.
38. Upon information and belief, the allegations contained in paragraph 38 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 38 of the Complaint and therefore denies the
same.
39. Upon information and belief, the allegations contained in paragraph 39 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 39 of the Complaint and therefore denies the
same.
40. Upon information and belief, the allegations contained in paragraph 40 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, it is admitted, upon information and belief, that inmates assaulted Plaintiff on August
3, 2022, while he was housed at CCDC. Except as expressly herein admitted, Greene is without
sufficient independent knowledge to form a belief as to the truth or falsity of the allegations
41. Upon information and belief, the allegations contained in paragraph 41 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 41 of the Complaint and therefore denies the
same.
42. Upon information and belief, the allegations contained in paragraph 42 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 42 of the Complaint and therefore denies the
same.
43. Upon information and belief, the allegations contained in paragraph 43 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 43 of the Complaint and therefore denies the
same.
44. Upon information and belief, the allegations contained in paragraph 44 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 44 of the Complaint and therefore denies the
same.
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 45 of the Complaint and therefore denies the
same.
46. Upon information and belief, the allegations contained in paragraph 46 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
falsity of the allegations contained in paragraph 46 of the Complaint and therefore denies the
same.
47. Upon information and belief, the allegations contained in paragraph 47 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, it is admitted, upon information and belief, that the events described in paragraphs 36
knowledge to form a belief as to the truth or falsity of the allegations contained in paragraph 47
48. Upon information and belief, the allegations contained in paragraph 48 of the
Complaint refer to events captured on video recordings, the contents of which speak for
is required, Greene is without sufficient independent knowledge to form a belief as to the truth or
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same.
upon information and belief, that inmates assaulted Plaintiff on August 3, 2022, while he was
housed at CCDC. Greene is without sufficient independent knowledge to form a belief as to the
truth or falsity of the remaining allegations contained in paragraph 50 of the Complaint and
upon information and belief, that New Hanover Regional Medical Center provided Plaintiff
inpatient treatment for a period of approximately two weeks. Greene is without sufficient
independent knowledge to form a belief as to the truth or falsity of the remaining allegations
upon information and belief, that Plaintiff suffered serious injuries following the August 3, 2022
assault. It is further admitted that Plaintiff survived the assault. Greene without sufficient
independent knowledge to form a belief as to the truth or falsity of the remaining allegations
contained in paragraph 53 of the Complaint, and as such, except as expressly herein admitted,
54. The allegations contained in paragraph 54 of the Complaint are admitted upon
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documents, the contents of which speak for themselves, and as such, no responsive pleading is
55 of the Complaint are admitted. Any implication regarding the accuracy of misconduct
document, the contents of which speak for themselves, and as such, no responsive pleading is
56 of the Complaint are admitted. Any implication regarding the accuracy of misconduct
document, the contents of which speak for themselves, and as such, no responsive pleading is
Complaint accurately summarizes certain allegations within the amended petition. Greene is
without sufficient independent knowledge to form a belief as to the truth or falsity of this specific
allegations contained within the amended petition and therefore denies the same. Any
implication regarding the accuracy of misconduct allegations contained within the amended
petition is denied. Except as expressly herein admitted, the allegations contained in paragraph 57
document, the contents of which speak for themselves, and as such, no responsive pleading is
Complaint accurately summarizes certain language within the amended petition. The truthfulness
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accuracy of misconduct allegations contained within the amended petition is denied. Except as
expressly herein admitted, the allegations contained in paragraph 58 of the Complaint are denied.
document, the contents of which speak for themselves, and as such, no responsive pleading is
Complaint accurately summarizes certain language within the amended petition. The truthfulness
of the referenced language within the amended petition is denied. Any implication regarding the
accuracy of misconduct allegations contained within the amended petition is denied. Except as
expressly herein admitted, the allegations contained in paragraph 59 of the Complaint are denied.
document, the contents of which speak for themselves, and as such, no responsive pleading is
Complaint accurately summarizes certain language within the amended petition. The truthfulness
of the referenced language within the amended petition is denied. Any implication regarding the
accuracy of misconduct allegations contained within the amended petition is denied. Except as
expressly herein admitted, the allegations contained in paragraph 60 of the Complaint are denied.
64. The allegations contained in paragraph 64 of the Complaint are admitted. Any
implication regarding the accuracy of misconduct allegations contained within the second
petition is denied.
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67. Greene restates his responses to the allegations contained in paragraphs 1 through
upon information at belief, that Defendants were acting under the color of law. The allegation
79. Greene restates his responses to the allegations contained in paragraphs 1 through
81. The allegations contained in paragraph 81 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 81 of the Complaint are denied.
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pleading is required, the allegations contained in paragraph 82 of the Complaint, and all subparts
83. The allegations contained in paragraph 83 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 83 of the Complaint are denied.
84. The allegations contained in paragraph 84 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 84 of the Complaint are denied.
85. The allegations contained in paragraph 85 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 85 of the Complaint are denied.
86. The allegations contained in paragraph 86 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 86 of the Complaint are denied.
87. The allegations contained in paragraph 87 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 87 of the Complaint are denied.
88. Greene restates his responses to the allegations contained in paragraphs 1 through
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that Defendants had certain duties prescribed by law. Any implication that Defendants breached
91. The allegations contained in paragraph 91 of the Complaint, and all subparts
94(a). The allegations contained in paragraph 94(a) of the Complaint are denied.
95. Greene restates his responses to the allegations contained in paragraphs 1 through
100. The allegations contained in paragraph 100 of the Complaint are denied.
101. The allegations contained in paragraph 101 of the Complaint are denied.
102. The allegations contained in paragraph 102 of the Complaint are denied.
103. Greene restates his responses to the allegations contained in paragraphs 1 through
102 of the Complaint and incorporates them as if fully set forth herein.
104. The allegations contained in paragraph 104 of the Complaint are admitted.
105. The allegations contained in paragraph 105 of the Complaint are not directed
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106. The allegations contained in paragraph 106 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 106 of the Complaint are denied
107. The allegations contained in paragraph 107 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 107 of the Complaint are denied
108. The allegations contained in paragraph 108 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 108 of the Complaint are denied.
109. The allegations contained in paragraph 109 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 109 of the Complaint are denied.
110. The allegations contained in paragraph 110 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 110 of the Complaint are denied.
111. Greene restates his responses to the allegations contained in paragraphs 1 through
110 of the Complaint and incorporates them as if fully set forth herein.
112. The allegations contained in paragraph 112 of the Complaint are admitted.
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pleading is required, the allegations contained in paragraph 113 of the Complaint are denied
114. The allegations contained in paragraph 114 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 114 of the Complaint are denied
115. The allegations contained in paragraph 115 of the Complaint are not directed
pleading is required, the allegations contained in paragraph 115 of the Complaint are denied
116. All allegations contained with the Complaint not expressly admitted herein are
denied.
WHEREFORE, Greene respectfully prays that the Court grant the following relief:
2. That Plaintiff’s claims be dismissed, with prejudice, and that the costs be assessed
against Plaintiff;
5. For such other and further relief as the Court deems just and proper.
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LSS157382
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