Case 1:05-cv-02378-JDB Document 87 Filed 03/11/2008 Page 1 of 11
SUPPLEMENTAL MEMORANDUM INTRODUCTION
Petitioner Abdul Hamid Al-Ghizzawi filed a “new” Emergency Motion for
Medical care and Records on February 5, 2008 after Al-Ghizzawi reported in two letters
to counsel that he was informed by doctors at the United States military’s Guantanamo
Bay detention facility that he had AIDS and after an earlier letter where Al-Ghizzawi
reported that a doctor at Guantanamo told him he has a serious liver infection. The
affidavit filed by the Government in Opposition admitted that Al-Ghizzawi does not, in
fact, suffer from AIDS (leaving counsel to strongly suspect that this was all a cruel hoax
consistent with the history of abuse that has been inflicted on other Guantanamo
prisoners.) However, that affidavit also admitted that Al-Ghizzawi’s liver problems
have worsened in the intervening 18 months (and in fact started to noticeably worsen
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by the time Al-Ghizzawi filed his original motion.) The government also admits that it
is still not treating Al-Ghizzawi’s serious health problems because its medical personnel
(including its affiant dermatologist) are under the mistaken belief they cannot treat him
without first performing an invasive and potentially dangerous biopsy.
Following the government’s troubling admissions and demonstration of the
medical incompetence of Guantanamo medical staff in the affidavits of the medical
providers, Al-Ghizzawi beseeches this Court to send him to a competent medical
facility for treatment and further requests access to his medical records, as argued in his
motion, including the relief mandated by the applicable Geneva Conventions,
Conventions found applicable to Guantanamo prisoners by the United States Supreme
Court. As Ordered by this Court on February 25, 2008 Al-Ghizzawi, through his
attorney, hereby supplements his Emergency Motion. Given the page limitations
imposed by this Court and in lieu of filing an additional affidavit from counsel this
memorandum is filed under oath by his attorney.
THE INTERNATIONAL COMMITTEE OF THE RED CROSS (ICRC)
Although in theory the ICRC has a presence at the Guantanamo prison, the
outcome of that presence has, until now, been negligible for Al-Ghizzawi. Al-Ghizzawi
raises the issue of the ICRC in furtherance of his argument that the Geneva Conventions
apply to this motion and to address any potential argument by the Government that the
1 Counsel says “until now” because she recently learned that the ICRC has apparently finally convinced the authorities at Guantanamo, after more than six years of imprisonment, to allow phone calls twice a year between the prisoners and their families… a practice that is suppose to start sometime in the next few months and also that the authorities are going to try “on a trial
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presence of the ICRC might in some way be relevant to the issues raised in Al-
Ghizzawi’s Motion. Al-Ghizzawi does in fact have periodic visits from representatives
of the ICRC who, on occasion, bring him mail. He has not had a visit from the medical
doctors of the ICRC for almost one year. Both Al-Ghizzawi and his Counsel have made
repeated requests for such a visit…. however the ICRC has told counsel and Al-
Ghizzawi that it is very busy and therefore medical visits have not taken place.
Further evidence of the lack of any kind of influence at securing the Guantanamo
prisoners’ rights to adequate medical care by the ICRC at Guantanamo is that Counsel
for Al-Ghizzawi has met with ICRC representatives on two occasions, once in April
2006 and a second time in November 2006, to express her concern over Al-Ghizzawi’s
health and to ask the ICRC to put pressure on the medical team at Guantanamo to treat
Al-Ghizzawi. Counsel has also exchanged emails with the Guantanamo representatives
for the ICRC. The April 2006 meeting took place just before the then current
Guantanamo representative was leaving his Guantanamo Post. That representative told
Counsel that Guantanamo was the most difficult placement in his many years at the
ICRC and that working at Guantanamo was worse than working in Iraq during the
Iraq/Iran war (where he was previously placed) because of the constant meddling and
obstruction by the United States military to the ICRC mission, in clear derogation of this
nation’s treaty obligations and customary international law.
In the November 2006 meeting counsel met with the ICRC medical doctor who
basis” to allow communal meals at two blocks in Camp 6. Only time will tell if these small steps will actually occur.
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was assigned to Guantanamo at that time. Prior to the meeting counsel sent court
documents to the doctor outlining her attempts to obtain Al-Ghizzawi’s medical records
and a copy of the release for the medical records signed by Al-Ghizzawi. At the
beginning of the meeting the medical doctor mistakenly thought that counsel had
obtained Al-Ghizzawi’s medical records and started the conversation by expressing his
disgust with the United States military for the lack of medical care being provided for
Al-Ghizzawi (whom he had recently seen) and the steady decline of Al-Ghizzawi’s
health as shown by the then recent test results in his medical file (unlike counsel, the
ICRC had access to al-Ghizzawi’s file and maintains detailed notes regarding his failing
health). The ICRC doctor specifically described certain tests that showed the
deterioration of Al-Ghizzawi’s health and expressed his frustration and anger at the
position taken by the military in refusing to treat Al-Ghizzawi despite the ICRC
doctor’s own stated concern and specific request.
Counsel then explained to the medical doctor that she had not, in fact, actually
obtained copies of Al-Ghizzawi’s medical records, nor had she even been permitted to
see those records at all. The ICRC doctor was quite concerned about this and told
counsel that he would not have discussed the tests had he realized she had not seen the
records. The doctor asked counsel to keep what he said confidential. The tests that the
doctor was referring to related to Al-Ghizzawi’s hepatitis and liver condition. The ICRC
doctor candidly stated that the affidavits of Dr. Sollock appeared to be drafted to
conceal or downplay the test results, rather than explain them. When the meeting
concluded the ICRC doctor said that he would try to check in on Al-Ghizzawi
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periodically but he admitted that his hands were tied because he simply could not force
the military to provide the necessary medical care. The ICRC doctor also admitted that
it was difficult to see everyone who was ill at Guantanamo because of the medical
deterioration of so many of the prisoners, in addition to those prisoners involved in the
hunger strike who were being cruelly forcibly fed.
Until later in 2007 counsel kept the ICRC information confidential hoping that
the ICRC medical doctors would succeed in pressuring the military at Guantanamo to
treat her client. Eventually, counsel went public in both the United States and Europe
with the truth and to illustrate that which the ICRC cannot reveal… that the ICRC can
only watch the medical deterioration and gross and outrageous malpractice at the base
but can do absolutely nothing to stop it ….and even more disturbingly, that the United
States is taking advantage of the confidentiality of the ICRC in the same way that the
most abhorrent governments have similarly abused that humanitarian organization, by
hiding its malfeasance behind the cloak of ICRC visits.
COUNSEL VISIT OF FEBRUARY 26-27 2008
As this Court has been advised, Counsel for Al-Ghizzawi visited with him all
day on February 26th and for a half day on February 27th, 2008. Al-Ghizzawi’s health
continues to worsen. The symptoms that Al-Ghizzawi either complained of during this
latest visit, or which were observed by counsel for Al-Ghizzawi, include, but are not
limited to the following (Counsel’s notes have not yet cleared and it is quite possible
1. Al-Ghizzawi continues to be very distraught over being told that he has AIDS.
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Although counsel showed him the affidavit of Dr. Meneley in which the government
claims that Al-Ghizzawi is not HIV positive, Al-Ghizzawi has no particular reason to
believe officials of the government that has held him prisoner without charge for more
than six years, that has repeatedly lied to him, keeps him in cruel and inhuman isolation
and still refuses to treat his known and now admitted medical problems.
2. Al-Ghizzawi was extremely weak, found it difficult to talk and spoke very slowly most
of the time. During the meetings Al-Ghizzawi had trouble at times remembering
conversations that were ongoing and had difficulty completing sentences. This is a
symptom that has worsened over the last few meetings.
3. Al-Ghizzawi continues to be very jaundiced and now has very dark circles under his
4. Further, Al-Ghizzawi’s diarrhea has worsened. He now complains of diarrhea 4-6 times
per day and complains of having several accidents where the diarrhea comes on so
quickly he cannot get to the toilet in time. Most of the time he washes his soiled
underwear and clothes in his cell. He complained that the area around his anus is
extremely soar and uncomfortable from the constant diarrhea.
5. Al-Ghizzawi stated that the doctor wanted to give him amoxicillin for five days and
another medicine (counsel does not recall the name but it is in her notes) to see if that
will help with the diarrhea. Al-Ghizzawi explained to the doctor that when the guards
bring him the pills they bring very cold water for him to swallow the medicine and he
cannot drink the cold water. According to Al-Ghizzawi he asked the doctor if he would
please put a note in with the medicine instructing the guards to give him warm water,
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but the doctor refused this simple request, and Al-Ghizzawi is therefore not even able
6. Al-Ghizzawi tried not to drink very much water during the meeting with counsel
because drinking water sometimes triggers the diarrhea. As usual, he politely and
graciously refused the various items counsel brought for him to eat. Just before the
meeting ended on Wednesday Al-Ghizzawi took a drink of water and immediately had
an intense pain on his right side causing him to bend over in pain for several minutes.
7. Al-Ghizzawi stated that he is also having difficulty urinating because it is very painful
for him to urinate and his urine is now dark in color.
8. Al-Ghizzawi’s eyes are extremely weak, itchy and watery. He no longer reads. Counsel
read to him several of her letters that he never received and one unopened letter that he
had with him but which he did not open because he knew he could not read it. He
stated that if he tries to read he becomes nauseous and the diarrhea starts again. He also
stated he can no longer look at pictures for the same reason.
9. In the fall the base clinic prescribed eyeglasses for Al-Ghizzawi but they are for distance
and not for reading… Al-Ghizzawi has no use for distance glasses as there is no where
far away that he can look at in his tiny cell. The reason for reading glasses may be age
related as Dr. Meneley suggested in his affidavit at ¶9 “There is no evidence of
deterioration of the detainee’s eyesight other than that associated with the changes of age
and genetic predisposition.” (emphasis added) The fact that Al-Ghizzawi has reached the
ripe old age of 45 and that the need for reading glasses can arguably be explained by the
aging process or by a “genetic predisposition” does not lead to the absurd conclusion
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that reading glasses should not be provided. In fact, many of us, counsel included,
would not be able to read because of the effects of aging eyes and genetic
predispositions if eyeglasses were not available.
10. Al-Ghizzawi complains that he is still cold all of the time and complains of both chills
and fever, especially when having his many bouts of diarrhea.
11. Al-Ghizzawi complained that his whole body is in constant pain. The areas that he
complained of as being the worst are: around his kidney and liver areas; his lower back
(shooting paralyzing pain); his thighs are swollen and stiff; his arm pits are very
painful; his ears hurt and his throat constantly tightens up making it hard to swallow.
His legs are weak and painful making it very difficult to walk and he has twisted his
knee on several occasions because his legs are too weak to hold his frail body up.
12. His skin and scalp remain extremely itchy.
13. Al-Ghizzawi showed counsel his arms that were very red and with a deep scratch in
one arm. He stated it was from the restraints that the guards put on him a few days
earlier when they were moving him from place to place.
14. When counsel spoke with Al-Ghizzawi about the military claim that he has gained
weight he stated they often take his weight with the heavy hand and foot shackles on to
15. At the meeting between Al-Ghizzawi and Counsel on Wednesday February 27, 2008 Al-
Ghizzawi brought in a piece of paper with some notes. He stated that the clinic wanted
to run some blood tests on him. Al-Ghizzawi does not trust or respect the medical
clinic and he told them he would give an answer after meeting with his lawyer. Two of
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the tests were tests that Dr. Jürg Reichen suggested and counsel asked Al-Ghizzawi to
allow the tests. He said he would let the doctors know immediately that he will allow
those tests but he still adamantly refuses to allow the military to do the unnecessary and
16. During the Wednesday meeting Al-Ghizzawi was very depressed. He learned that
during the Tuesday meeting with counsel an ICRC representative came to see him (not
a medical representative). Since he was not in his cell the representative gave a report to
one of the prisoners in the same block to tell Al-Ghizzawi. When Al-Ghizzawi returned
from the attorney meeting the other prisoner shouted the information to Al-Ghizzawi
through the small hole in the floor of his cell door where the food is pushed in. The
prisoner yelled to Al-Ghizzawi, (who stretched out on the floor of his cell with his ear to
the hole in his cell door so he could hear the report) that the ICRC visited with Al-
Ghizzawi’s wife and daughter in Afghanistan for the first time and that their situation is
very bad. He told Al-Ghizzawi that his wife is caring for her father who is now blind
and unable to walk (her mother died while Al-Ghizzawi has been held at Guantanamo).
That in addition to caring for their own six year old daughter she also cares for her
sister’s young child (her sister and her husband are also recently deceased but Al-
Ghizzawi does not know how they died) and she cares for several of her nine siblings,
(the youngest of whom is seven years old). The ICRC reported to the other prisoner that
Al-Ghizzawi’s family is in extreme poverty and destitution.
17. Al-Ghizzawi stated that he spends his days sleeping … it is all he can do.
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CONCLUSION
In this Court’s Order of February 25, 2008 this Court noted that the Opposition filed
by the government provided “useful information.” The filing by the government was
useful in the sense that it provided uncontroverted evidence that the government is
clearly more interested in hiding and otherwise obfuscating its own mistakes than in
treating its prisoners, despite its moral, legal and treaty obligations to do so. What the
government has failed to provide is “helpful information.” Fortunately for Al-Ghizzawi
the U.S. Constitution imposes a system of checks and balances. This Court is in a
position to come to Al-Ghizzawi’s assistance and grant the relief sought in his New
Emergency Petition, not as a humanitarian gesture, but as a matter of justice under the
rule of law. Given the compelling circumstances of this case, Al-Ghizzawi respectfully
requests an expedited hearing on his Petition and an Order by this Court to grant the
relief sought in this Motion and to move Al-Ghizzawi to a competent civilian medical
facility, as required by this nation’s treaty obligations under the Geneva Conventions
and customary international law post haste and for whatever and further relief this
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I, H. Candace Gorman, certify that I today caused a true and accurate copy of
AL-GHIZZAWI’S SUPPLEMENTAL MEMORANDUM to be served upon the following persons by virtue of filing the above listed document with the U. S. Department of Justice Litigation Security Section:
Terry Henry, Esq., Senior Trial Attorney
Law Office of H. Candace Gorman H. Candace Gorman (IL Bar #6184278) 200 S. Halsted Street - Suite 200 Chicago, IL 60661 Tel: (312) 427-2313
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