Arizona ex rel. Horne v. The Geo Group

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This case arose when female corrections officer, Alice Hancock, filed a charge of discrimination with the Division against her employer, Geo, alleging that she had been subjected to discrimination, harassment, and retaliation in violation of state and federal employment laws. In this appeal, the Division and the EEOC challenged the district court's summary judgment rulings in favor of Geo. The court held that the EEOC and the Division sufficiently conciliated its class claims against Geo in this lawsuit in light of Mach Mining, LLC v. EEOC; assuming that exhaustion requirements from Title VII of the Civil Rights Act of 1964, 42 U.S.C. 2000e et seq., and the Arizona Civil Rights Act (ACRA), Ariz. Rev. Stat. 41-1481(A), apply in this case, the court held that the EEOC and the Division may maintain their claims on behalf of aggrieved employees provided that the employee has alleged at least one act of misconduct that occurred within 300 days prior to the date the first aggrieved employee, Alice Hancock, filed her charge against Geo; in an EEOC class action an aggrieved employee is not required to file a new charge of discrimination with the EEOC if her claim is already encompassed within the Reasonable Cause Determination or if the claim is “like or reasonably related” to the initial charge; and that aggrieved employee Sofia Hines has presented material issues of fact as to her hostile work environment claim. Accordingly, the court vacated the district court's order. View "Arizona ex rel. Horne v. The Geo Group" on Justia Law