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  2. McDonnell Douglas burden-shifting - Wikipedia

    en.wikipedia.org/wiki/McDonnell_Douglas_burden...

    In United States employment discrimination law, McDonnell Douglas burden-shifting or the McDonnell-Douglas burden-shifting framework refers to the procedure for adjudicating a motion for summary judgement under a Title VII disparate treatment claim, in particular a "private, non-class action challenging employment discrimination", [1] that lacks direct evidence of discrimination.

  3. Mixed motive discrimination - Wikipedia

    en.wikipedia.org/wiki/Mixed_motive_discrimination

    If the evidence of discrimination is only circumstantial, the appropriate framework is the McDonnell Douglas burden-shifting framework. See generally Fakete v. Aetna, Inc. [ 3 ] (using "direct evidence" to describe "mixed-motive" cases and noting that pretext cases arise when the plaintiff presents only indirect or circumstantial evidence of ...

  4. Babb v. Wilkie - Wikipedia

    en.wikipedia.org/wiki/Babb_v._Wilkie

    This framework, known as the McDonnell Douglas burden-shifting analysis, is now used by federal courts to interpret employment discrimination claims where no direct evidence of discriminatory intent can be found. [2] In 2009, the Supreme Court issued its opinion on Gross v. FBL Financial Services, Inc.. In a 5-4 opinion, the Court ruled that ...

  5. Disparate treatment - Wikipedia

    en.wikipedia.org/wiki/Disparate_treatment

    In the majority of cases, the plaintiff lacks direct evidence of discrimination and must prove discriminatory intent indirectly by inference. The Supreme Court analyzes these cases using the McDonnell Douglas burden-shifting formula. The analysis is as follows: [10] (1) The plaintiff must establish a prima facie case of discrimination.

  6. McDonnell Douglas Corp. v. Green - Wikipedia

    en.wikipedia.org/wiki/McDonnell_Douglas_Corp._v...

    McDonnell Douglas Corp. v. Green, 411 U.S. 792 (1973), is a US employment law case by the United States Supreme Court regarding the burdens and nature of proof in proving a Title VII case and the order in which plaintiffs and defendants present proof. It was the seminal case in the McDonnell Douglas burden-shifting framework.

  7. Reeves v. Sanderson Plumbing Products, Inc. - Wikipedia

    en.wikipedia.org/wiki/Reeves_v._Sanderson...

    She then turned to the next stage of the McDonnell Douglas burden-shifting framework to determine whether the defendant had then provided adequate evidence that the employment decision in question had been made for "a legitimate, nondiscriminatory reason." [6] That burden, too, was met, according to O'Connor's analysis.

  8. Swierkiewicz v. Sorema N. A. - Wikipedia

    en.wikipedia.org/wiki/Swierkiewicz_v._Sorema_N._A.

    Swierkiewicz v. Sorema N. A., 534 U.S. 506 (2002), was a case decided by the Supreme Court of the United States on February 26, 2002. The Court held that for complaints in employment discrimination cases, a plaintiff is not required to allege specific facts that establish a prima facie case as required by the McDonnell Douglas burden-shifting framework.

  9. Muldrow v. City of St. Louis - Wikipedia

    en.wikipedia.org/wiki/Muldrow_v._City_of_St._Louis

    In employment discrimination cases where the only evidence of discrimination is indirect, courts evaluate the claim under the McDonnell Douglas burden-shifting framework. To have an actionable claim under Title VII, and other employment discrimination statutes, the plaintiff must make out a prima facie (on its face) case of discrimination. This ...