Northern District of Illinois • 1:25-cv-12492

Martinez Reina v. Bondi

Terminated

Case Information

Filed: October 13, 2025
Assigned to: Thomas Michael Durkin
Referred to:
Nature of Suit: Habeas Corpus - Alien Detainee
Cause: 28:2241 Petition for Writ of Habeas Corpus
Terminated: October 28, 2025
Last Activity: October 28, 2025
Parties: View All Parties →

Docket Entries

#1
Oct 13, 2025
COMPLAINT filed by Luis Alberto Martinez Reina; Filing fee $ 405, receipt number AILNDC-24190365.(Quiceno, William) (Entered: 10/13/2025)
Main Document: Complaint
#2
Oct 13, 2025
CIVIL Cover Sheet (Quiceno, William) (Entered: 10/13/2025)
Main Document: CIVIL
#3
Oct 13, 2025
ATTORNEY Appearance for Plaintiff Luis Alberto Martinez Reina by William A Quiceno (Quiceno, William) (Entered: 10/13/2025)
Main Document: ATTORNEY
Oct 14, 2025
CASE ASSIGNED to the Honorable Thomas M. Durkin. Designated as Magistrate Judge the Honorable Maria Valdez. Case assignment: Random assignment. (Civil Category Two). (lw, )
Oct 14, 2025
CLERK'S NOTICE: Pursuant to Local Rule 73.1(b), a United States Magistrate Judge of this court is available to conduct all proceedings in this civil action. If all parties consent to have the currently assigned United States Magistrate Judge conduct all proceedings in this case, including trial, the entry of final judgment, and all post-trial proceedings, all parties must sign their names on the attached Consent To form. This consent form is eligible for filing only if executed by all parties. The parties can also express their consent to jurisdiction by a magistrate judge in any joint filing, including the Joint Initial Status Report or proposed Case Management Order. (lw, )
#4
Oct 15, 2025
MINUTE entry before the Honorable Thomas M. Durkin: Petitioner has filed a 28 U.S.C. § 2241 habeas corpus petition challenging his present detention in ICE custody. Respondent is ordered to respond to the habeas corpus petition by 10/21/2025. Petitioner shall reply by 10/28/2025. The parties should also address whether, how, and/or to what extent the consent decree and recent opinion entered in Castanon Nava v. DHS, No. 18 C 3757, Dkts. 155-1 & 214 (N.D. Ill.), may impact this case. In addition, Respondent shall make a preliminary filing by 10/16/2025 stating: (1) whether Petitioner was located in the Northern District of Illinois at the time this case was filed; (2) the current status of Petitioner's immigration proceedings; and (3) Petitioner's current location and proper Respondent based on that location. Pursuant to the Court's authority under the All Writs Act, 28 U.S.C. § 1651, the Government is ordered not to remove Petitioner from the jurisdiction of the United States and not to transfer him to any federal judicial district other than those in the States of Illinois, Indiana, or Wisconsin. A.A.R.P. v. Trump, 145 S. Ct. 1364, 1369 (2025) (citing 28 U.S.C. § 1651(a)) ("[T]he Government represented on the record in federal court that it reserved the right to remove detainees after midnight. We had the power to issue injunctive relief to prevent irreparable harm to the applicants and to preserve our jurisdiction over the matter."); United States v. United Mine Workers of Am., 330 U.S. 258, 293 (1947) ("The District Court had the power to preserve existing conditions while it was determining its own authority to grant injunctive relief.") If the Petitioner is already, as of the posting of this order, located outside of Illinois, Indiana, or Wisconsin but within the United States, or is in the midst of transportation outside of those States to another State, then this bar on transfer does not require the immediate return of the Petitioner as long as Respondent intends to hold Petitioner within the United States. Instead, the parties and the Court will address the issue after the Respondent makes the preliminary filing. The Clerk shall email a copy of this order to Tom Walsh, Chief of the Civil Division, United States Attorney's Office, Northern District of Illinois, Craig Oswald, AUSA, United States Attorney's Office, Northern District of Illinois, and Joshua Press, AUSA, United States Attorney's Office, Northern District of Illinois. This case is set for an in-person status hearing on 11/3/2025 at 9:30 a.m. in Courtroom 1441. Mailed notice. (ecw, ) (Entered: 10/15/2025)
Main Document: MINUTE
#5
Oct 15, 2025
DESIGNATION of Craig Arthur Oswald as U.S. Attorney for Defendants Pam Bondi, Kristi Noem, Samuel Olson (Oswald, Craig) (Entered: 10/15/2025)
Main Document: DESIGNATION
#6
Oct 16, 2025
REQUEST for Clerk of Court to refund filing fee in the amount of $805, receipt no. AILNDC-24190365, and receipt no. AILNDC-24190351 (Quiceno, William) (Entered: 10/16/2025)
Main Document: REQUEST
#7
Oct 16, 2025
STATUS Report by Pam Bondi, Kristi Noem, Samuel Olson (Oswald, Craig) (Entered: 10/16/2025)
Main Document: STATUS
Oct 16, 2025
EMAILED Order dated 10/15/25 4 to Tom Walsh, Chief of the Civil Division, United States Attorney's Office, Northern District of Illinois, Craig Oswald, AUSA, United States Attorney's Office, Northern District of Illinois, and Joshua Press, AUSA, United States Attorney's Office, Northern District of Illinois. (jxm, )
#8
Oct 21, 2025
DESIGNATION of Joshua Samuel Press as U.S. Attorney for Defendants Pam Bondi, Kristi Noem, Samuel Olson (Press, Joshua) (Entered: 10/21/2025)
Main Document: DESIGNATION
#9
Oct 21, 2025
RESPONSE by Defendants Pam Bondi, Kristi Noem, Samuel Olson to set/reset hearings,,,,,,,,,, 4, complaint 1 (Attachments: # 1 Exhibit 1, # 2 Exhibit 2)(Press, Joshua) (Entered: 10/21/2025)
Main Document: RESPONSE
#10
Oct 28, 2025
Dismiss
Main Document: Dismiss
#11
Oct 28, 2025
Order on Motion to Dismiss
Main Document: Order on Motion to Dismiss