Ham v. Washington Suburban Sanitary Commission

158 F. App'x 457
CourtCourt of Appeals for the Fourth Circuit
DecidedDecember 21, 2005
Docket04-2021
StatusUnpublished
Cited by6 cases

This text of 158 F. App'x 457 (Ham v. Washington Suburban Sanitary Commission) is published on Counsel Stack Legal Research, covering Court of Appeals for the Fourth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Ham v. Washington Suburban Sanitary Commission, 158 F. App'x 457 (4th Cir. 2005).

Opinions

GREGORY, Circuit Judge:

Benjamin Porter, Andre Proctor, and Linwood Ham, Sr. (collectively “Appellants”), African-American employees of the Washington Suburban Sanitary Commission (‘WSSC”), appeal from the United States District Court for the District of Maryland’s grant of summary judgment in favor of WSSC. Appellants allege that WSSC denied them promotions on the basis of race, in violation of Title VII of the Civil Rights Act of 1964 (42 U.S.C. § 2000e et seq.) and 42 U.S.C. § 1981. Because we [459]*459believe Appellants Porter and Proctor have produced sufficient evidence from which a jury could conclude that WSSC’s proffered reasons for failing to promote them were pretext for discrimination, we reverse the district court’s grant of summary judgment as to them. We hold, however, that summary judgment was appropriate with respect to Appellant Ham.

I.

Following is a recitation of facts as construed in the light most favorable to Appellants, the nonmovants for summary judgment.1 WSSC provides water and sewer services to 1.6 million residents in Montgomery County and Prince George’s County, Maryland and employs approximately 1,500 people. J.A. 1747. As of December 2003, minorities comprised over 51% of the WSSC workforce. Id. at 1748.

In July 2000, WSSC underwent a major reorganization in which its Operations Bureau and its Electrical and Mechanical (“E & M”) Section merged into one body called the Production Team. Previously, the Operations Bureau was responsible for operating the water and waste water equipment at WSSC plants, while the E & M Section inspected, repaired, and maintained the equipment at plants and pumping stations. The Production Team thus combined two individual workgroups into a single organization to be led by a Lead Electrical/Mechanical Technician (“Lead Tech”) at each of the WSSC facilities. This, and other reorganizational efforts at WSSC resulted in the elimination of more than 600 jobs between 1997 and 2003.

The restructuring and concomitant retirements culminated in seven Lead Tech openings at WSSC’s plants, four of which are relevant here.2 Between July and October 2000, WSSC internally publicized available Lead Tech positions at its various facilities. In advertising the Lead Tech positions, each facility excerpted WSSC’s single, published Lead Tech position description, which indicated that a Lead Tech performs the following essential functions:

Directs and assigns subordinate Electrical/Mechanical Technicians, Electrical Mechanics, and helpers in the installation, repair, or modification of various types of equipment, systems, and devices;
Oversees or takes the lead in the more difficult electrical or mechanical maintenance activities;
Installs pumps, motors, pipes, valves, and electrical controls necessary to make a new pumping unit functional; [460]*460Determines nature and extent of repairs and work sequences;
Repairs motor control switchboards and equipment up to 5KV including synchronous motors and variable speed controls; Repairs substation equipment up to 69 KV including oil circuit breakers and transformers;
Installs, maintains, repairs, and tests electrical systems, electric shop equipment and internal electrical power distribution facilities;
Repairs pneumatic and hydraulic control systems on valves and bubbler systems; Installs a wide variety of other electrical or mechanical equipment.

J.A. 1762. The position description made no mention of a need for administrative skills, writing abilities, or the ability to advocate the Total Productive Operations Initiative (“TPO Initiative”).3 It did, however, specify a minimum number of years of experience in electrical/mechanical work or an equivalent combination of skills and experience. Id.

Appellants collectively submitted eight applications for the Lead Tech positions at WSSC’s Piscataway, Potomac, Seneca, and Western Branch facilities through WSSC’s internal promotion program. Ham applied at each of the four facilities, Porter at two, and Proctor at two.

At the time of the promotion decisions, Porter had been employed at WSSC for twenty-two years. During that time, Porter worked as an Electrical/Mechanical Technician at the Piscataway and Anacostia facilities. In January 1998, Porter’s supervisor selected Porter to serve as Acting Lead Tech at the Anacostia Depot. During his thirty-three month stint as Acting Lead Tech, Porter successfully performed all the responsibilities of a Lead Tech and received the highest overall performance rating.4 Porter was serving as Acting Lead Tech when he applied for the permanent Lead Tech positions.

At the time of the hiring decisions, Appellant Proctor was in his twenty-forth year at WSSC, having spent all but four months at the Piscataway Plant. He began working at WSSC in November 1976 as an Electrical Mechanic Helper and was later promoted to Electrical/Mechanical Technician. For nine months in 2000, Proctor served as Acting Lead Tech at the Piscataway Plant. During that time, the Piscataway Plant’s nonmanagement personnel elected Proctor an E & M Subject Matter Expert, responsible for assessing whether employees displayed mastery of particular skills and for assisting with employee training. J.A. 1236-39.

When Ham applied for the Lead Tech positions, he had worked at WSSC for nine years. Before arriving at WSSC in 1991, Ham performed electrical field work while in the U.S. Marine Corps and worked for several electrical contractors. At the time he applied for the Lead Tech position, he [461]*461was an Electrical Inspector in the E & M Section. In that capacity, he supervised contractors at various plants and facilities, and therefore developed a working knowledge of the various WSSC facilities. J.A. 404. Ham was consistently praised for his technical skill, but simultaneously critiqued for his allegedly “abrasive” communication style.

WSSC did not select any of the Appellants for the Lead Tech positions, instead filling each position (including the Anacostia and Patuxent positions) with Caucasian candidates. WSSC selected Randy Clark for the Lead Tech position at the Piscataway Plant. Clark had been with WSSC for nearly twenty years. Chris Barnhill, who had six years of experience at WSSC, was selected for the Lead Tech position at Western Branch. WSSC selected Carl Huddleson as the Lead Tech for the Seneca facility. Huddleson had twenty-seven years of experience in the electrical field and fifteen years of experience with WSSC. He had spent twelve of those years at the Seneca facility. Finally, Dan Moler was selected as Lead Tech for the Potomac facility after each of the remaining candidates, including Appellants, withdrew from consideration for that position.

Although WSSC published a single job description for the Lead Tech positions and required the facilities to interview the individual ultimately selected for promotion, the selection processes at the various facilities were otherwise nonuniform.

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Bluebook (online)
158 F. App'x 457, Counsel Stack Legal Research, https://law.counselstack.com/opinion/ham-v-washington-suburban-sanitary-commission-ca4-2005.