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Failure to Name Defendant in Administrative Appeal Does Not Foreclose Including Him in § 1983 Complaint

The Third Circuit U.S. Court of Appeals ruled that when a defendant in a prisoner’s 42 U.S.C. § 1983 civil rights complaint had participated in the administrative grievance process, but had not been expressly named in a grievance, that defendant was not foreclosed from being named in a subsequent lawsuit. ...

 

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