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The Ohio Department of Rehabilitation and Correction (DRC or ODRC) is the administrative department of the Ohio state government responsible for oversight of Ohio State Correctional Facilities, along with its Incarcerated Individuals. [1] Ohio's prison system is the sixth-largest in America, with 27 state prisons and three facilities for juveniles.
Ohio Department of Rehabilitation and Corrections Director Gary Mohr has also taken action to amend the regulations. Mohr filed an appeal with the Department of Justice , proposing that ex-offenders should be allowed to work within prisons if they've maintained a clean record for five years and exhibited a dedication to pro-social endeavors.
On October 3, 2011, the Ohio Department of Rehabilitation and Corrections announced that the majority of Ohio's male death row would be relocated to CCI from the Ohio State Penitentiary (OSP) in Youngstown and Mansfield Correctional Institution in Mansfield, with some high security death row cells being maintained at OSP and inmates with medical issues being held at the Franklin Medical Center ...
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Mansfield Correctional Institution (MANCI) is an Ohio Department of Rehabilitation and Correction mixed-security state prison for men, located at 1150 North Main Street in Mansfield, Ohio, adjacent to the property of the historic Ohio State Reformatory. Ohio's Richland Correctional Institution is also located in Mansfield.
The Lake Erie Correctional Institution is a minimum- and medium-security prison for men located in Conneaut, Ashtabula County, Ohio, owned and operated by CoreCivic under contract with the Ohio Department of Rehabilitation and Correction. [1]
A Special Master hears claims for violations of access to public records. Todd Marti serves as the court's Special Master. Appeals from the Court of Claims are heard by the Tenth District Court of Appeals in Columbus. The court is located in the Thomas J. Moyer Ohio Judicial Center in Columbus. The clerk of the court is Anderson Renick. [3]
Lockett v. Ohio, 438 U.S. 586 (1978), is a United States Supreme Court case in which the Court held that sentencing authorities must have the discretion to consider at least some mitigating factors, rather than being limited to a specific list of factors. [1]