Moses v. Dassault Falcon Jet Corp.

by
The Eighth Circuit affirmed the district court's grant of summary judgment for DFJ on his age discrimination and retaliation claims brought under the Age Discrimination in Employment Act (ADEA); (2) disability discrimination and retaliation claims brought under the Americans with Disabilities Act (ADA); and (3) state-law claim for age and disability discrimination and retaliation brought under the Arkansas Civil Rights Act of 1993 (ACRA).The court held that plaintiff failed to exhaust his administrative remedies as to his federal claims where his termination played no part in the initial EEOC charge because the right-to-sue letter preceded the date of the termination; plaintiff's ACRA claim failed because no genuine issues of material fact exist on whether plaintiff was qualified to do the essential job functions of his position and whether the termination was due to his disability. The court also held that plaintiff's hostile work environment claim failed because the alleged harassment was not severe enough to support his claim, and plaintiff's ADA claims also failed because he was unable to perform the essential functions of his job, with or without accommodation, and he failed to show but-for causation as to retaliation. View "Moses v. Dassault Falcon Jet Corp." on Justia Law