Gillaspy v. Dallas Independent School District

278 F. App'x 307
CourtCourt of Appeals for the Fifth Circuit
DecidedMay 28, 2008
Docket06-11204
StatusUnpublished
Cited by57 cases

This text of 278 F. App'x 307 (Gillaspy v. Dallas Independent School District) is published on Counsel Stack Legal Research, covering Court of Appeals for the Fifth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Gillaspy v. Dallas Independent School District, 278 F. App'x 307 (5th Cir. 2008).

Opinion

PER CURIAM: *

Appellant Judie C. Gillaspy appeals the district court’s order granting summary judgment to Dallas Independent School District (DISD) on her Title VII claims for gender discrimination and retaliation brought pursuant to 42 U.S.C. §§ 2000e-2000e-17. We affirm in part and reverse and remand in part.

I.

Gillaspy is a twenty year employee of DISD’s Custodial Services Department. After various promotions, she held the position of “Field Supervisor.” As a Field Supervisor, Gillaspy was responsible for supervising several DISD campuses and over 200 employees. In March 2003, DISD outsourced the management of the Custodial Services Department to Ara-mark Service Master (Aramark). Ara-mark instituted a restructuring of the Custodial Services Department, which eliminated the Field Supervisor position. Two new positions, “Area Custodial Supervisor” (ACS) and “Facility Supervisor” were created. The ACS position closely resembled the former Field Supervisor position, with two notable differences. First, ACS worked at night; Field Supervisors *309 worked during the day. Second, ACS were assigned to a smaller number of DISD campuses in specific areas; Field Supervisors were assigned to a larger number of campuses on an “as-needed” basis. An ACS reported directly to his or her individual Area Manager, an Aramark employee. Despite the similarities between the Field Supervisor and ACS positions, all existing Field Supervisors were required to apply for one of the eight new ACS positions. Of the six former Field Supervisors, only Gillaspy and four male employees applied. The remaining applicants were other DISD employees and non-employees.

In May 2008, ten individuals were interviewed by seven Area Managers. Gillaspy was the only female applicant selected to interview. Each Area Manager interviewed the applicants one-on-one and scored the applicant in five areas: technical knowledge, customer service, teamwork, portrayed image, and leadership. The scores were then submitted to Rica Hernaez, Resident District Manager and Executive Director of the Custodial Services Department, an Aramark employee who directly supervised the Area Managers. Hernaez also participated in the one-on-one interview process.

One of the Area Managers who conducted the interviews was Gillaspy’s former supervisor, Marcus Miller. Gillaspy alleges that on the day of her interview Miller stated that although she was qualified for the job, “only men” would be hired for the open ACS positions. 1 Miller denies making the statement. All eight positions were filled with male applicants. Gillaspy was the only Field Supervisor not selected.

DISD provided two reasons for Gillaspy’s nonselection: Gillaspy received the lowest total interview scores, and Hernaez believed that Gillaspy lacked the supervisory, leadership, and motivational skills necessary for the ACS position. Hernaez stated that her opinion was based on having personally interviewed Gillaspy for an Area Manager position earlier in the year, and information received from Miller and another Area Manager who had previously worked with Gillaspy. Gillaspy was thus “reassigned” to the position of Facility Supervisor. In her capacity as Facility Supervisor, Gillaspy supervised only one campus.

In July 2003, Gillaspy filed a charge with the Equal Employment Opportunity Commission (EEOC) against DISD, alleging gender discrimination by not selecting her for an ACS position in May 2003 and her subsequent “demotion” to Facility Supervisor. Gillaspy also alleged that the employment decisions were made in retaliation for prior complaints she had made regarding discriminatory wage practices. She did not allege any “continuing violations.” Following the filing of her EEOC charge, Gillaspy received her first negative performance review, which cited poor leadership and teamwork skills. Although Gillaspy received the review on July 15, 2003, the review was prepared on June 25, 2003, before she filed her EEOC charge.

In August 2003 and July 2004, additional ACS positions became available in the Custodial Services Department. Gillaspy applied for both positions, but was not re-interviewed or selected to fill them. DISD relied on Gillaspy’s low interview scores and Hernaez’s prior evaluation from her May 2003 interview to deny her the posi *310 tions. In January 2004 and February 2004, Field Supervisor positions became available in the Maintenance Services Department. Gillaspy applied for and was denied these positions. DISD alleges that Gillaspy failed to meet the minimum requirements for these positions, which Gillaspy disputes. All of the positions were filled by male applicants, however Gillaspy did not amend her EEOC charge or file a new charge alleging discrimination or retaliation based on her nonselection for these positions.

On March 10, 2004, the EEOC found reasonable cause to believe that a violation of Title VII had occurred and issued Gillaspy a right-to-sue letter. On September 22, 2004, Gillaspy filed gender discrimination and retaliation claims against DISD pursuant to Title VII of the Civil Rights Act of 1964. Specifically, Gillaspy alleged gender discrimination for: (1) non-selection for ACS in May 2003, (2) demotion to Facility Supervisor in May 2003, (3) failure to promote to ACS in August 2003 and July 2004, and (4) failure to promote to Field Supervisor in the Maintenance Department in January 2004 and February 2004. Gillaspy also alleged retaliation for filing an EEOC claim by failing to promote her to open positions following the filing of her claim and for giving her a negative performance review.

The DISD moved for summary judgment on all of Gillaspy’s claims. The district court granted the motion, dismissing all of Gillaspy’s claims with prejudice. In regal'd to Gillaspy’s discrimination claims, the district court concluded that Gillaspy failed to produce direct evidence of discrimination and that DISD offered legitimate, non-discriminatory reasons for its employment decisions, which Gillaspy failed to rebut with evidence of pretext or mixed motive. Gillaspy’s retaliation claims were dismissed for a variety of reasons. First, in regard to the January 2004 and February 2004 Field Supervisor positions in the Maintenance Services Department, the district court concluded that Gillaspy’s EEOC charge failed to put DISD on notice of her retaliation claims. Second, the district court held that even if DISD had adequate notice, Gillaspy failed to establish a causal connection between her filing of the EEOC charge and DISD’s employment decisions. Third, in regard to the August 2003 ACS position in the Custodial Services Department, the district court found that Gillaspy failed to establish the causal connection prong for a prima facie retaliation case because no one was actually hired for that position. Finally, the district court held that DISD offered a legitimate, nonretaliatory motive for its decision not to hire Gillaspy for the July 2004 ACS position — Gillaspy’s low interview scores from May 2003 — and that Gillaspy failed to establish a retaliatory motive.

Gillaspy timely filed her notice of appeal on October 23, 2006.

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278 F. App'x 307, Counsel Stack Legal Research, https://law.counselstack.com/opinion/gillaspy-v-dallas-independent-school-district-ca5-2008.