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ICE Detention Standards Compliance Audit - Stewart Detention Center, Lumpkin, GA, ICE, 2015

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U.S. Department of Homeland Security
Immigration and Customs Enforcement
Office of Professional Responsibility
Inspections and Detention Oversight Division
Washington, DC 20536-5501

Office of Detention Oversight
Compliance Inspection
Enforcement and Removal Operations
ERO Atlanta Field Office
Stewart Detention Center
Lumpkin, Georgia

June 22–25, 2015

 

COMPLIANCE INSPECTION
for the
STEWART DETENTION CENTER
LUMPKIN, GEORGIA
TABLE OF CONTENTS

EXECUTIVE SUMMARY
Overall Findings...................................................................................................................2
Findings by Performance-Based National Detention Standards (PBNDS) 2011 Major
Categories ............................................................................................................................3
INSPECTION PROCESS .............................................................................................................4
DETAINEE RELATIONS ............................................................................................................5
INSPECTION FINDINGS
SECURITY
Admission and Release ........................................................................................................6
Custody Classification System ............................................................................................6
Special Management Units ..................................................................................................6
CARE
Food Service ........................................................................................................................7
JUSTICE
Grievance System ................................................................................................................7

*

*

*

*

*

INSPECTION TEAM MEMBERS

(b)(6), (b)(7)c

Office of Detention Oversight
June 2015
OPR 201408773

Lead Inspections and Compliance Specialist
ODO
Inspections and Compliance Specialist
ODO
Contractor
Creative Corrections
Contractor
Creative Corrections
Contractor
Creative Corrections
Contractor
Creative Corrections
Contractor
Creative Corrections

1

Stewart Detention Center
ERO Atlanta

 

EXECUTIVE SUMMARY
The Office of Detention Oversight (ODO) conducted a compliance inspection of the Stewart
Detention Center (SDC) in Lumpkin, Georgia, from June 22 to 25, 2015.1 SDC opened in 2006
and is owned and operated by the Corrections Corporation of America (CCA). Enforcement and
Removal Operations (ERO) began housing detainees at SDC in 2006 pursuant to an
Intergovernmental Service Agreement (IGSA), under the oversight of ERO’s Field Office
Director (FOD) in Atlanta, Georgia.
ERO staff members, including a
Quantity
Detention Service Manager, are Capacity and Population Statistics
assigned to the facility. A CCA ICE Detainee Bed Capacity2
2,000
Warden is responsible for oversight Average ICE Detainee Population3
1,209
of daily facility operations and is
Male Detainee Population (as of 06/23/2015)
1,483
supported by (b)(7)epersonnel. Trinity
Female
Detainee
Population
N/A
Food Service provides food services,
and the ICE Health Service Corps (IHSC) provides medical services. The facility is accredited
by the American Correctional Association.

OVERALL FINDINGS
In May 2013, ODO conducted an
inspection of SDC under the 2008
Performance-Based
National
Detention Standards (PBNDS),
reviewing the facility’s compliance
with 18 standards and finding the
facility compliant with 14 standards.
There were a total of six deficiencies
in the remaining four standards.

Inspection Results
Compared

FY 2013
(PBNDS 2008)

FY2015
(PBNDS 2011)

Standards Reviewed

18

16

Deficient Standards
Overall Number of
Deficiencies
Deficient Priority
Components

4

5

6

10

3

4

Corrective Actions Initiated

0

1

In June 2015, ODO conducted an inspection of SDC under the PBNDS 2011, reviewing the
facility’s compliance with 16 standards and finding the facility compliant with eleven of those
standards. ODO found ten deficiencies, one of which was a repeat deficiency 4 , under the
remaining five standards; four of those deficiencies relate to priority components.5 Finally, ODO
identified one opportunity where the facility initiated corrective action during the course of the
inspection.6
                                                            
1

Male detainees with low, medium and high security classification levels are detained at the facility for longer than
72 hours.
2
 Data Source: ERO Facility List Report as of June 22, 2015
3
 Ibid.
4
ODO identified a repeat deficiency from the May 2013 ODO inspection in the Admission and Release standard.
5
Deficient priority components were found in the following three standards: Admission and Release (2); Custody
Classification System (1); and Food Service (1).
6
Corrective actions, where immediately implemented, best practices and ODO recommendations, as applicable,
have been identified in the Inspection Findings section and annotated with a “C”, “BP” or “R”, respectively.

Office of Detention Oversight
June 2015
OPR 201408773

2

Stewart Detention Center
ERO Atlanta

 

FINDINGS BY PBNDS 2011 MAJOR CATEGORIES
PBNDS 2011 STANDARDS INSPECTED7

DEFICIENCIES

Part 1 - Safety
1.2 - Environmental Health and Safety
Sub-Total

0
0

Part 2 - Security
2.1 - Admission and Release
2.2 - Custody Classification System
2.5 - Funds and Personal Property
2.11 - Sexual Abuse and Assault Prevention and Intervention
2.12 - Special Management Units
2.13 - Staff-Detainee Communication
2.15 - Use of Force and Restraints
Sub-Total

4
1
0
0
3
0
0
8

Part 4 - Care
4.1 - Food Service
4.3 - Medical Care
4.4 - Medical Care (Women)
4.6 - Significant Self-Harm and Suicide Prevention and Intervention
Sub-Total

1
0
0
0
1

Part 5 - Activities
5.6 - Telephone Access
Sub-Total

0
0

Part 6 - Justice
6.1 - Detainee Handbook
6.2 - Grievance System
6.3 - Law Libraries and Legal Materials
Sub-Total
Total Deficiencies

0
1
0
1
10

                                                            
7

For greater detail on ODO’s findings, see the Inspection Findings section of this report.

Office of Detention Oversight
June 2015
OPR 201408773

3

Stewart Detention Center
ERO Atlanta

 

INSPECTION PROCESS
Every fiscal year, the Office of Detention Oversight (ODO), a unit within U.S. Immigration and
Customs Enforcement’s (ICE) Office of Professional Responsibility (OPR), conducts
compliance inspections at detention facilities in which detainees are accommodated for periods
in excess of 72 hours and with an average daily population greater than ten to determine
compliance with the applicable ICE National Detention Standards (NDS) 2000, the PerformanceBased National Detention Standards (PBNDS) 2008 or 2011.
During the compliance inspection, ODO reviews each facility’s compliance with those detention
standards that directly affect detainee health, safety, and/or well-being.8 Any violation of written
policy specifically linked to ICE detention standards, ICE policies, or operational procedures that
ODO identifies is noted as a deficiency. ODO will highlight any deficiencies found involving
those standards that ICE has designated with either the PBNDS 2008 or 2011 to be “priority
components.” 9 Priority components have been selected from across a range of detention
standards based on critical importance, given their impact on facility security and/or the health
and safety, legal rights, and quality of life of detainees in ICE custody.
Immediately following an inspection, ODO hosts a closeout briefing in person with both facility
and ERO field office management to discuss their preliminary findings, which are summarized
and provided to ERO in a preliminary findings report. Thereafter, ODO provides ERO with a
final compliance inspection report to: (i) assist ERO in working with the facility to develop a
corrective action plan to resolve identified deficiencies; and (ii) provide senior ICE and ERO
leadership with an independent assessment of the overall state of ICE detention facilities. The
reports enable senior agency leadership to make decisions on the most appropriate actions for
individual detention facilities nationwide.

                                                            
8

9

ODO reviews the facility’s compliance with selected standards in their entirety.
 Priority components have not been identified for the NDS. 

Office of Detention Oversight
June 2015
OPR 201408773

4

Stewart Detention Center
ERO Atlanta

 

DETAINEE RELATIONS
ODO interviewed 37 detainees, who volunteered to participate. None of the detainees made
allegations of mistreatment, abuse, or discrimination. The majority of detainees reported being
satisfied with facility services, with the exception of the complaints below:


Food Service: A detainee alleged he was diabetic and supposed to receive a medical diet
tray.
o Action Taken: ODO notified medical services about the alleged condition, and
medical services provided food service with the diet prescription.



Staff-Detainee Communication: Twenty-one detainees alleged they have not seen or
rarely see their deportation officers. Examination of the housing unit logbooks revealed,
while ERO signed in for both their scheduled and unscheduled visits, they rarely signed
out. ODO was, therefore, unable to determine how long ERO spent conducting staffdetainee communication.
o Action Taken: Once notified of this issue, the Assistant Field Office Director
(AFOD) assigned to the facility immediately implemented a change requiring
ERO to sign in and out of the log books during their visits to the housing units to
record the amount of time spent with detainees. During the inspection, the AFOD
also sent the entire ERO staff to the facility to ensure detainees are aware of their
assigned ERO staff member and provide detainees with updated information on
their case. Rosters of assigned ERO staff are now posted in each housing pod.



Telephone Access: Eight detainees alleged the telephone rates were excessive.
o Action Taken: ODO reviewed the telephone rates for the facility and found the
rates are in compliance with the revised rate caps for interstate calls from prisons
established by the Federal Communications Commission, which took effect on
February 11, 2014.

Office of Detention Oversight
June 2015
OPR 201408773

5

Stewart Detention Center
ERO Atlanta

 

INSPECTION FINDINGS
SECURITY
ADMISSION AND RELEASE (AR)
During an interview with facility staff, ODO was informed detainees are not given the
opportunity to shower prior to entering their housing unit (Deficiency AR-110).
ODO’s review of the orientation video found it to be distorted. Additionally, at various points,
the audio is mute, and the video freezes and jumps. ODO also learned that the transmitter was
not functioning properly in Unit One, D-pod, so detainees could not use their earphones to hear
the audio portion (Deficiency AR-211).
ODO found that upon conclusion of the video, housing unit officers did not conduct a question
and answer session. During their interviews, the officers even confirmed that question and
answer sessions do not routinely occur (Deficiency AR-312).
After interviewing staff and ICE/ERO personnel, it was determined the orientation procedures
were not approved in advance by the local ERO Field Office (Deficiency AR-413).
CUSTODY CLASSIFICATION SYSTEM (CCS)
ODO observed three detainees classified as High eating lunch in the dining room with detainees
classified as Low (Deficiency CCS-114).
SPECIAL MANAGEMENT UNIT (SMU)
Administrative segregation order forms were available in English, only (Deficiency SMU-115).

                                                            
10

“To maintain standards of personal hygiene and to prevent the spread of communicable diseases and other
unhealthy conditions within the housing units, where possible, every detainee shall shower before entering his/her
assigned unit.” See ICE PBNDS 2011, Standard 2.1, Admission and Release, Section (V)(B)(2)(d). This is a
repeat deficiency.
11
“All facilities shall have a method to provide ICE/ERO detainees an orientation to the facility as soon as
practicable, in a language or manner that detainees can understand.” See ICE PBNDS 2011, Standard 2.1,
Admission and Release, Selection (V)(F). This is a priority component.
12
“Following the orientation, staff shall conduct a question-and-answer session.” See ICE PBNDS 2011, Standard
2.1, Admission and Release, Selection (V)(F). This is a priority component.
13
“Orientation procedures in CDFs and IGSAs must be approved in advance by the local ICE/ERO Field Office.”
See ICE PBNDS 2011, Standard 2.1, Admission and Release, Selection (V)(F).
14
“Low custody detainees may not be comingled with high custody detainees.” See ICE PBNDS 2011, Standard
2.2, Custody Classification System, Section (V)(F)(1). This is a priority component. 
15
“The administrative segregation order shall be immediately provided to the detainee in a language or manner the
detainee can understand, unless delivery would jeopardize the safe, secure, or orderly operation of the facility. All
written materials provided to detainees shall generally be translated into Spanish.” See ICE PBNDS 2011, Standard
2.12, Special Management Units, Section (V)(A)(2)(e).

Office of Detention Oversight
June 2015
OPR 201408773

6

Stewart Detention Center
ERO Atlanta

 

Corrective Action:
The facility initiated corrective action during the inspection by
creating a Spanish version of the administrative segregation order form (C-1).
A review of the hard copy and electronic logs dating back one year prior to the inspection found
neither documents provide the date that detainees are released from the SMU (Deficiency SMU216).
According to the SMU lieutenant, visitors for detainees assigned to the SMU must wait until
general population visitation has concluded. The lieutenant acknowledged that segregated
detainees may have their visits canceled if detainees from general population consume the entire
time allotted for visitation (Deficiency SMU-317).

CARE
FOOD SERVICE (FS)
ODO’s observation of the process and review of the logs found water temperatures at the pot and
pan cleaning station are not recorded as required by the standard (Deficiency FS-118).

JUSTICE
GRIEVANCE SYSTEM (GS)
ODO reviewed 12 months of grievances, which revealed written or oral responses are not always
provided within five days of the receipt of the grievance (Deficiency GS-119).

                                                            
16

“The SMU log shall record the detainee’s name, A-number, housing location, date admitted, reasons for
admission, status review dates, tentative release date (for detainees in disciplinary segregation), the authorizing
official, and date released.” See ICE PBNDS 2011, Standard 2.12, Special Management Units, Section (V)(C)(1).
17
“Segregated detainees may ordinarily use the visiting room during normal visiting hours.” See ICE PBNDS 2011,
Standard 2.12, Special Management Units, Section (V)(R).
18
“Staff shall check refrigerator and water temperatures daily and record the results.” See ICE PBNDS 2011,
Standard 4.1, Food Service, Section (V)(J)(13). This is a priority component.
19
“Detainee shall be provided with a written or oral response within five days of receipt of the grievance.” See ICE
PBNDS 2011, Standard 6.2, Grievance System, Section (V)(C)(3)(b)(1)(b).

Office of Detention Oversight
June 2015
OPR 201408773

7

Stewart Detention Center
ERO Atlanta

 

 

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