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Sexual Harassment & Violence Against Women - Developments in Federal Law (Paperback, New Ed)
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Sexual Harassment & Violence Against Women - Developments in Federal Law (Paperback, New Ed)
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Gender-based discrimination, harassment, and violence against women
in the home, workplace, and society at large are continuing topics
of legislative and judicial concern. Legal doctrines condemning the
extortion of sexual favours as a condition of employment or job
advancement, and other sexually offensive workplace behaviours
resulting in a 'hostile environment', have evolved from judicial
decisions under Title VII of the 1964 Civil Rights Act and related
federal laws. The earlier judicial focus on economic detriment or
quid pro quo harassment -- making submission to sexual demands a
condition to job benefits -- has largely given way to Title VII
claims alleging harassment that creates an 'intimidating, hostile,
or offensive environment'. In 1994, Congress broke new legal ground
by creating a civil rights cause of action for victims of 'crimes
of violence motivated by gender'. The new law also made it a
federal offence to travel interstate with the intent to 'injure,
harass, or intimidate' a spouse, causing bodily harm to the spouse
by a crime of violence. In recent years, the US Supreme Court has
addressed a range of issues from the legality of same-sex
harassment to the vicarious liability of employers and a local
school district for monetary damages as the result of harassment by
supervisors and teachers. In Oncale vs Sundowner Offshore Services
Inc., the US Supreme Court resolved a conflict among the federal
circuit courts by ruling that sex discrimination consisting of
same-sex harassment is actionable under Title VII. Faragher vs City
of Boca Raton and Burlington Industries vs Ellerth, held employers
vicariously liable for sexual harassment of an employee by a
supervisor with immediate or successively higher authority of that
employee. Where the harassment results in a 'tangible employment
action' -- such as demotion or discharge -- against the victim,
Title VII liability is automatic and no defence is available to the
employer. In cases not involving tangible reprisals or loss of job
benefits, however, the failure of a complaining employee to take
advantage of any anti-harassment policy and procedures made
available by the employer may be asserted as an affirmative
defence. Doe vs Lago Vista Independent School District, by
contrast, ruled 5 to 4 that Title IX of the Education Amendments of
1972 imposes no liability on local school districts for teacher
harassment of students unless a school official with authority to
institute corrective measures has actual knowledge of the alleged
misconduct and is deliberately indifferent to it. On June 14, 2004
the Supreme Court considered the defences, if any, that may be
available to an employer against an employee's claim that she was
forced to resign because of 'intolerable' sexual harassment at the
hands of a supervisor. In Pennsylvania State Police vs Suders, the
plaintiff claimed the tangible adverse action was supervisory
harassment so severe that it drove the employee to quit, a
constructive discharge in effect. The Court, in an opinion by
Justice Ginsburg, only Justice Thomas dissenting, accepted the
theory of a constructive discharge as a tangible employment action,
but it also set conditions under which the employer could assert an
affirmative defense and avoid strict liability under Title VII of
the 1964 Civil Rights Act.
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