LaMay v. Michigan State Police

CourtDistrict Court, E.D. Michigan
DecidedJuly 25, 2023
Docket5:20-cv-12617
StatusUnknown

This text of LaMay v. Michigan State Police (LaMay v. Michigan State Police) is published on Counsel Stack Legal Research, covering District Court, E.D. Michigan primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
LaMay v. Michigan State Police, (E.D. Mich. 2023).

Opinion

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF MICHIGAN SOUTHERN DIVISION

Larissa LaMay,

Plaintiff, Case No. 20-12617

v. Judith E. Levy United States District Judge Michigan State Police, Joseph Gasper, and Keyonn Whitfield, Mag. Judge David R. Grand

Defendants.

________________________________/

OPINION AND ORDER GRANTING DEFENDANTS’ MOTION FOR SUMMARY JUDGMENT [21] AND DENYING PLAINTIFF’S MOTION TO SUPPLEMENT RECORD AS MOOT [30, 33]

Plaintiff Larissa LaMay filed this employment discrimination case after she was denied a promotion in February 2020. She alleges that Defendants Michigan State Police (“MSP” or the “Department”), Joseph Gasper, and Keyonn Whitfield discriminated against her because of her race and sexual orientation when she was not selected for the position of Assistant Post Commander (“APC”). Defendants filed a motion for summary judgment on each of Plaintiff’s claims. (ECF No. 21.) After the Court held a hearing on Defendants’ motion, Plaintiff filed a motion to supplement the record. (ECF Nos. 30, 33.) For the reasons set forth below, the Court grants Defendants’ motion for summary judgment, denies

Plaintiff’s motion to supplement the record as moot, and dismisses the case with prejudice. I. Background

A. Factual Background i. Plaintiff’s Background Plaintiff Larissa LaMay is a white woman who is openly gay and

has a wife and two children. She holds an associate’s degree and enrolled in the Michigan State Police Academy in 1998. (See ECF No. 21-2, PageID.168–169.) As of February 2020, Plaintiff had been with MSP for

twenty-two years and was a Detective Sergeant stationed at the Metro North Post within MSP’s Second District, which covers southeast Michigan.

ii. Gasper Becomes Director of MSP and Announces Diversity Initiatives Defendant Joseph Gasper was appointed to serve as the Director of the Michigan State Police by Governor Gretchen Witmer in January 2019. Prior to his appointment as Director, Colonel Gasper was a Captain

with MSP. Plaintiff asserts that shortly after taking office, Gasper announced that MSP’s “number one priority” was “diversity.”1 (See ECF No. 16, PageID.83–84; ECF No. 22, PageID.260.) Gasper also allegedly

emphasized this priority at MSP’s October 8, 2019 “Fall Forum” for command officers. (ECF No. 16, PageID.84; ECF No. 22, PageID.260–

261.) According to Plaintiff, Gasper told those present at the Fall Forum that (1) MSP was “way too White, and way too male,”2 (2) “[h]e was going to diversify all ranks of the MSP,”3 and (3) that “MSP members should

not think of ‘Me’ but rather of ‘Us’ if denied a promotion for the sake of diversity.”4 (ECF No. 22, PageID.260–261.) Plaintiff was not present for

1 Gasper denied stating that diversity was the number one priority of MSP. (ECF No. 22-2, PageID.282.) However, Stephanie Horton, MSP’s Human Resources Director, testified that she heard Gasper make such a statement. (ECF No. 22-21, PageID.423.)

2 Gasper did not recall stating that the MSP was “way too white, and way too male” when asked during his deposition. (ECF No. 22-2, PageID.282.) He instead testified: “I could have referenced the obvious appearance of the department being predominantly white, being predominately male, and our goal, for decades, to be as diverse as we can be, to represent the state of Michigan the best we can.” (Id.)

3 Gasper testified only that he was sure he “talked about the importance of diversification of the Department to include . . . all areas.” (ECF No. 22-2, PageID.282–283.)

4 It is not clear if the testimony of former MSP command officers cited in support of this third assertion is supported by admissible evidence in the record. The cited excerpt from Michael Caldwell’s deposition does not identify who made the any of Gasper’s comments at the Fall Forum. Nor were any of Gasper’s alleged comments about the importance of diversity directed at Plaintiff

or the relevant APC hiring process. Under Gasper, MSP also issued a “Strategic Plan: 2020-2022” in

December 2019, which expressly identifies applicant diversity as an objective for the agency. (ECF No. 21-9, PageID.231.) Specifically, the plan indicated that MSP would “[i]nstitute recruiting practices that

reduce barriers to employment in order to increase the trooper minority applicant pool and female applicant pool by Dec. 31, 2022.” (Id.) To measure its performance on this objective, MSP set a target of “25% racial

minority trooper applicant pool” and “20% female trooper applicant pool.” (Id.) The plan does not include any such goals regarding applicant pools for internal promotions.

iii. Whitfield is Promoted to Post Commander, Leading to the Open APC Position In April 2019, an Inspector position became available in the Second District, reporting to the Captain Thomas Deasy. In May 2019, Joseph

relevant statement. (See ECF No. 22-16, PageID.398.) And the cited excerpt from Michael McCormick’s deposition consists of McCormick reading his own response to a survey about the Fall Forum. (See ECF No. 22-22, PageID.426–428.) Brodeur, a white man and then-Post Commander of Metro North Post in the Second District, was selected for the Inspector role. Following

Brodeur’s promotion, Defendant Keyonn Whitfield, an African-American man and then-Lieutenant and APC, was selected as Post Commander for

Metro North Post and promoted to First Lieutenant. iv. Whitfield Makes Homophobic Comments Prior to the Hiring Process On November 20, 2019, Whitfield held a mandatory Sergeants’ meeting for the Metro North Post, which Plaintiff attended. At the meeting, Whitfield made several comments about an openly gay trooper

who spoke at the October 2019 Fall Forum. (See ECF No. 22-5, PageID.305–306.) Whitfield expressed that he couldn’t believe the trooper would come out publicly during the conference, and Whitfield

repeatedly exclaimed, “He gay!” (Id. at PageID.305; ECF No. 22-12, PageID.353.) Whitfield also stated: “I can’t believe that motherf[*****]r

was saying that.” (ECF No. 22-13, PageID.376–377.) A few of the other Sergeants attempted to steer the conversation away from this subject, but Whitfield returned to it several times. (ECF No. 22-12, PageID.354.)

Whitfield’s comments made Plaintiff “very, very uncomfortable.” (Id. at PageID.353–354.) She eventually reported the incident on or about April 10, 2020, and an administrative complaint against Whitfield was opened on April 23, 2020. (ECF No. 22-5, PageID.305, 307.) Lieutenant

Jennifer Pintar of MSP’s Professional Services Section (also referred to as “Internal Affairs” or “IA”) investigated Plaintiff’s allegations. (See

generally ECF No. 22-5.) In his interview with Pintar, Whitfield denied saying “he gay” repeatedly or saying he could not believe someone who was gay would come out to a large group. (Id. at PageID.324; see also ECF

No. 22-27, PageID.495.) Whitfield also indicated that he was not aware of Plaintiff’s sexual orientation prior to the Internal Affairs investigation. (ECF No. 22-5, PageID.325.) Another Lieutenant from the Metro North

Post who attended Whitfield’s mandatory meeting, Marcus Trammel, told Pintar that he was not sure Whitfield was aware that Plaintiff is gay. (Id. at PageID.318–319.) During Pintar’s investigation, Sergeant Michael

Zarate and Lieutenant Sarah Krebs, who attended the November 20, 2019 meeting, told Pintar that they had previously heard Whitfield use homophobic slurs at work. (Id. at PageID.317, 321; ECF No. 22-3,

PageID.294–295; ECF No. 22-4, PageID.298–299.) In his interview with Pintar, Whitfield denied using such slurs or having a bias against gay employees. (ECF No. 22-5, PageID.325; see also ECF No. 22-27, PageID.500–501.)

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