Williams v. Pennsylvania Human Relations Commission

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Williams, an African-American woman, claimed that she was subjected to constant harassment by her supervisors at the Pennsylvania Human Relations Commission, faced a hostile work environment, and was ultimately constructively discharged from her position as a Human Relations Representative. After taking leave under the Family Medical Leave Act, she had not returned to work. She filed suit under Title VII of the Civil Rights Act, seeking damages for the loss of her job and the harm sustained to her physical and emotional health. She included claims against her former supervisors, claiming that they violated her rights under Title VII and the Americans with Disabilities Act (ADA) and were liable under 42 U.S.C. 1983. The district court granted summary judgment in favor of all defendants. The Third Circuit affirmed, finding that violations of Title VII and the ADA may not be brought through section 1983, given the comprehensive administrative scheme established by Title VII and the ADA. Those statutes require plaintiffs to comply with particular procedures and/or to exhaust particular administrative remedies prior to filing suit. In addition, Williams presented no triable issues of fact on her Title VII claims against the Commission. View "Williams v. Pennsylvania Human Relations Commission" on Justia Law