Norfleet v. Renner

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Farris, a Tennessee judicial commissioner, issued a warrant for Norfleet’s arrest based on an affidavit from his probation officer saying that he had violated his probation. Norfleet went to jail for several months. A state court judge dismissed the warrant on the ground that Tennessee commissioners lack authority to issue such warrants. Norfleet sued Farris under 42 U.S.C. 1983, alleging that she violated his Fourth Amendment rights by issuing a defective arrest warrant. Reversing the district court, the Sixth Circuit concluded that judicial immunity shielded Farris from the lawsuit. Issuing an arrest warrant is a judicial act and nothing clearly deprived Farris of subject matter jurisdiction to issue Norfleet’s probation-revocation warrant. A broad warrant-issuing authority with an open-ended list of duties combined with a non-exclusive revocation-warrant provision means the Tennessee statutory scheme does not plainly deprive Farris of jurisdiction. View "Norfleet v. Renner" on Justia Law