Carmon v. Saks Fifth Avenue LLC

CourtDistrict Court, E.D. Missouri
DecidedApril 8, 2021
Docket4:19-cv-02855
StatusUnknown

This text of Carmon v. Saks Fifth Avenue LLC (Carmon v. Saks Fifth Avenue LLC) is published on Counsel Stack Legal Research, covering District Court, E.D. Missouri primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Carmon v. Saks Fifth Avenue LLC, (E.D. Mo. 2021).

Opinion

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MISSOURI EASTERN DIVISION RAQUEL CARMON, ) ) Plaintiff, ) ) vs. ) Case No. 4:19-CV-02855-AGF ) SAKS FIFTH AVENUE, LLC, ) ) Defendant. )

MEMORANDUM AND ORDER This matter is before the Court on the cross motions (ECF No. 49 & 52) for summary judgment filed by Plaintiff Raquel Carmon1 and Defendant Saks Fifth Avenue, LLC (“Saks”), with respect to Carmon’s claims asserting race discrimination, hostile work environment, and retaliation in violation of the Missouri Human Rights Act (“MHRA”), Mo. Rev. Stat. §§ 213.010-213.137. For the reasons set forth below, the Court will grant Saks’ motion and deny Carmon’s motion. BACKGROUND For the purpose of the motions before the Court, the record establishes the following facts.2 Carmon is an African American female. Prior to her employment with

1 Carmon’s motion is addressed to all issues except damages.

2 The parties’ statements of uncontroverted material facts and responses thereto are lengthy, with Plaintiff asserting 415 statements of fact (ECF No. 54), and 335 additional statements of facts (ECF No. 64-1). The Court will only discuss those facts that are relevant to the Court’s analysis. Saks, Carmon held various retail manager positions, including managerial positions at clothing retail stores that involved supervising direct reports, as well as an asset

protection management position at a hardware store in which she did not supervise any direct reports. ECF No. 62 at ¶¶ 2-6, ECF No. 64-1 at ¶¶ 11-12. Saks hired Carmon on November 20, 2015 as one of two asset protection investigators assigned to Saks’ Frontenac, Missouri store. Throughout her employment at Saks, Carmon worked under the direct supervision of Nate Dickey, a white male and a district asset protection manager (“DAPM”), charged with overseeing asset protection functions at the Frontenac

store and at a Saks Off Fifth store location in Chesterfield, Missouri. Dickey was involved in the decision to hire Carmon. ECF No. 64-1 at ¶ 13. In her first year and a half of employment, Carmon received positive performance evaluations. Specifically, on May 4, 2016, Dickey gave Carmon an annual performance evaluation rating her “at target,” which is considered a positive evaluation by Saks and

typical of most employees. ECF No. 62 at ¶¶ 226-32, ECF No. 64-1 at ¶ 15. Throughout Carmon’s employment at Saks, Saks had a step-based employee discipline policy that included issuing the employee a written warning as part of a performance improvement plan before terminating the employee. ECF No. 62 at ¶ 250. Carmon’s Applications for Promotion in 2016 and 2017

In October of 2016, Carmon applied for a position as a retail selling manager. ECF No. 64-1 at ¶¶ 16-17. Saks does not have any written policies regarding promotions. ECF No. 62 at ¶75. However, Carmon asked Marie Plufka, a white female and the human resources director for the Frontenac store at that time, about the selling manager position. ECF No. 62 at ¶ 57. As the human resources director, Plufka was responsible for facilitating the investigation of allegations of discrimination, harassment,

or retaliation, but Plufka did not receive any training from Saks on federal or state anti- discrimination or anti-retaliation laws. ECF No. 62 at ¶¶ 58-59. Plufka told Carmon that she should go through an internal recruiter with respect to her application. ECF No. 62 at ¶ 95. However, a former store manager informed Carmon in October of 2016 that the manager had not gone through a recruiter when she was selected for her managerial position. ECF No. 62 at ¶ 97; ECF No. 54-7, Carmon

dep. 70:9-24, 77:15-78:17. Plufka further told Carmon that Carmon was not Saks material, that Carmon would be better suited at Saks Off Fifth,3 and that Carmon should apply for jobs in a more diverse market, where people were more like her. ECF No. 62 at ¶¶ 92, 100. Carmon does not allege the date on which these conversations with Plufka took place. Id.

Saks ultimately hired a white selling manager from another department to fill the position. ECF No. 64-1 at ¶ 18; ECF No. 74, PSUMF at ¶ 21. In April of 2017, Carmon applied for a DAPM position at Saks’ Chicago location. ECF No. 64-1 at ¶ 19. Saks’ regional director of asset protection, John Evans, scheduled Carmon for an interview for this position but later canceled the interview because he

believed she was not qualified for the position. ECF No. 62 at ¶¶ 77-81. Saks awarded

3 Saks full-line stores, such as the Frontenac store, sell more higher-end merchandise than Saks Off Fifth. ECF No. 62 at ¶ 94. the Chicago DAPM position to two white individuals with multi-store experience in a DAPM role, which Carmon lacked.4 ECF No. 64-1 at ¶ 21.

Dickey told Carmon “not to hold her breath on getting promoted” and encouraged Carmon to apply for a less demanding asset protection manager (“APM”) position in Sarasota, Florida, to gain experience, but Carmon refused because she felt the location was too small. ECF No. 62 at ¶ 72; ECF No. 64-1 at ¶ 26. Dickey also told Carmon on various occasions and alluded throughout her employment that he felt there was racism at the Frontenac store, including among members of management. ECF No. 62 at ¶¶ 20-33.

Dickey further commented to Carmon during the summer of 2017 that he respected a black janitor at the store for riding the bus to work rather than selling drugs, which Carmon felt disparaged the janitor based on his race. Id. at ¶ 26, ECF No. 64-1 at ¶ 90. On May 1, 2017, Dickey gave Carmon another annual performance evaluation again rating her “at target.” ECF No. 62 at ¶ 228. Carmon alleges she applied for two

additional DAPM positions in August and October of 2017, respectively, but Saks does not have a record of such application. ECF No. 64-1 at ¶ 23. There is no evidence regarding whether these positions existed or were filled by any other candidate. Carmon recalled that the assistant general manager of operations at the Frontenac store, Debra Derrick, told Carmon that she (Derrick) would create a list of tasks for

Carmon to complete in order to receive a promotion. ECF No. 62 at ¶ 87. Carmon does

4 One of these individuals had previously worked as a DAPM for a Saks-related entity, Lord & Taylor, and according to Carmon, Lord & Taylor hired that individual as a DAPM notwithstanding her lack of prior experience at that time. not allege when this conversation took place. See id. However, Dickey did not recall anyone else having to complete a list of tasks before receiving a promotion, and Derrick

did not provide Carmon with any such list before Derrick retired from Saks in or about October 2017. Id.; ECF No. 54-8, Carmon dep. 344:22-345:22. Carmon stopped applying for promotions at Saks in October of 2017, because she felt discouraged and that she was denied opportunities because of her race. ECF No. 62 at ¶¶ 110-111. Carmon’s July 16, 2017 Anonymous Letter Regarding Racism at Frontenac Store After June of 2017, Plufka was no longer employed by Saks. ECF No. 74,

PSUMF at ¶ 28. On July 16, 2017, Carmon wrote an anonymous letter addressing racism at the Frontenac store. See ECF No. 64-15, Pl.’s Ex. 9. The letter purported to be from a store manager and alleged that the manager had heard members of management “refer to employees as idiots, stupid, incompetent, not smart enough, fairies and n[*]ggers,” “say minorities (African Americans) and those who associate with minorities lack polish and

refinement,” and “say that African Americans are fortunate to be allowed to work at Saks Fifth Avenue and they should know their place as servants in the store.” Id. Carmon mailed and hand-delivered the anonymous letter to certain store employees. ECF No. 74, PSUMF at ¶ 67. Saks did not learn that Carmon wrote the letter until years later, after Carmon filed this lawsuit.

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Carmon v. Saks Fifth Avenue LLC, Counsel Stack Legal Research, https://law.counselstack.com/opinion/carmon-v-saks-fifth-avenue-llc-moed-2021.