|
A plaintiff
filing a Title VII claim must file the charge with either the Equal
Employment Opportunity Commission ("EEOC") either 180
or 300 days after an alleged unlawful employment practice. 42 U.S.C.
ß2000e-5(e)(1). However, the United States Supreme Court reached
a compromise with respect to employee claims based on illegal acts
which occured outside of this applicable time period.
In
National Railroad Passenger Corp. v. Morgan, 122 S. Ct. 2061,
151 L. Ed. 106 (June 10, 2002), an African American employee brought
claims under Title VII, alleging that he had been subject to discriminatory
and retaliatory acts and had experienced a racially hostile work
environment throughout his employment. However, some of the discriminatory
acts occured outside of the applicable 300 day time period. The
Court held that an employee who raises claims of discrete discriminatory
or retaliatory acts, such as non-promotion or termination, which
occured outside of the applicable time period are time barred because
each "unlawful employment practice" constitutes a discrete
act of a single "occurance." On the other hand, an employee
who has filed a claim for hostile work environment may recover for
all hostile acts, even if part of those acts occurred outside of
the applicable time period, as long as one act occurs within the
300 day period. The Court reasoned that because hostile work environment
claims by their nature involve repeated conduct, this claim constitutes
a series of seperate acts that collectively constitute one "unlawful
employment practice."
Top
|