The Turner test Writing for a five-justice majority, Justice
Sandra Day O'Connor began by examining the precedent set by
Procunier v. Martinez, and determining the appropriate level of scrutiny for judicial review of prison regulations. The Court in
Martinez had stated, ". . .federal courts must take cognizance of the valid constitutional claims of prison inmates," but also said that "courts are ill equipped to deal with the increasingly urgent problems of prison administration and reform." Thus, there were competing interests of justice, and O'Connor argued that courts should tread carefully: O'Connor wrote that
Martinez had not actually formulated a standard of review, and the lower courts had been incorrect to interpret it as imposing strict scrutiny in this case. Rather,
Martinez had imposed strict scrutiny in a situation where inmate mail had been censored based on its content (mail was censored for statements that "unduly complain," "magnify grievances," or express "inflammatory political, racial, religious or other views"), and where the rights of non-inmates were also implicated. Whereas
content-based regulation of speech by the general public was an easy case where strict scrutiny should be applied, the present case called for a new standard to be formulated. Thus the Court formulated such a standard, which would come to be known as the
Turner test. A prison regulation that affected inmates' constitutional rights "is valid if it is reasonably related to legitimate penological interests," and reasonableness would be judged by four factors: • Whether there is a “valid, rational connection” between the regulation and the legitimate governmental interest used to justify it; • Whether there are alternative means for the prisoner to exercise the right at issue; • The impact that the desired accommodation will have on guards, other inmates, and prison resources (so-called "ripple effects"); and • The presence or absence of “ready alternatives," where the presence of ready alternatives make it more likely that a regulation is unreasonable, while the absence make it less likely that the regulation is unreasonable.
The test applied to the mail rule Applying this test, the Court found MODOC's mail rule to be reasonable. It noted testimony by prison officials that gang activity was a growing problem in Missouri prisons, and that separating and isolating gang members was a well-known strategy. Renz was also sometimes used to put inmates in protective custody, which might be undermined by inmates communicating with other facilities. The first factor was thus satisfied. For the second factor, the Court said that inmates still had other forms of expression available, implicitly stating the ability to send and receive mail should not be considered in isolation. For the third factor, the Court felt that lower courts had underestimated the cost of allowing mail between inmates, especially because "exercise of the right affects the inmates and staff of more than one institution." The administrative cost of monitoring inmate communications, thwarting gangs, etc., would thus be increased across the state, not just at Renz. Finally, the Court stated that MODOC had "no obvious, easy alternatives to the policy [it] adopted. Other well-run prison systems, including the
Federal Bureau of Prisons, have concluded that substantially similar restrictions on inmate correspondence were necessary to protect institutional order and security."
The test applied to the marriage rule The Court began by affirming that inmates did indeed have a right to marry, a right previously recognized by cases such as
Zablocki v. Redhail and
Loving v. Virginia: The Court then reviewed the reasons MODOC had given for its marriage rule (that love triangles could lead to fights, or that many female inmates needed to "develop[e] skills of self-reliance" because they had a history of abuse or were too reliant on men), and found them to have no reasonable relationship to the actual rule. As for the love triangles, "surely . . . inmate rivalries are as likely to develop without a formal marriage ceremony as with one." The proposition that female inmates needed to be more self-reliant in no way explaining why women's requests were routinely denied and men's were routinely granted, and was inconsistent with testimony that there were no recorded problems with such marriages before the 1983 rule was adopted. Moreover, while the Court did not deem this fact to be necessary for its holding, it did observe that this "rehabilitation" rationale was based on a
suspect classification, as it only applied only to women, in a system of "excessive paternalism." The Court thus overturned the marriage rule, but upheld the mail rule
on its face, and remanded the case back to the court of appeals for a determination of whether the mail rule was "arbitrary and capricious" as applied. == Concurrence in part and dissent in part ==