Roberson v. University of Tennessee

Employee filed suit against her employer, the University of Tennessee, alleging sex discrimination under the Equal Pay Act and the Tennessee Human Rights Act (“THRA”).  She also alleged that her employer retaliated against her for filing an EEOC charge.  The Court of Appeals held that there was sufficient evidence to support the verdict that she had suffered discrimination and that her employer retaliated against her.  Plaintiff was an employee of the University’s Agricultural Extension Service since 1980.  She was eligible for a promotion in 1986, but was not promoted.  Her co-worker, however, who started in 1979, was promoted.  Plaintiff filed an EEOC charge.  She then brought an action for sex discrimination under the Equal Pay Act and THRA and alleged that defendant retaliated against her for filing the EEOC charge.  The Court found sufficient evidence to uphold the jury verdict granting plaintiff $13,600 on her discrimination claim, $50,000 on her retaliation claim, and $26,000 in attorney’s fees.  The Court noted evidence that plaintiff’s evaluation scores were adjusted downward after she signed off on them and before they were given to the Dean who made decisions regarding pay and promotion.  There was also evidence that complaints against her were taken more seriously than complaints against her peers.  One of her supervisors admitted that he stopped recommending her for promotions after she filed the EEOC charge, and that management took much more time and effort over small matters that related to the plaintiff.



Avon Center work product