Mangum v. United States Steel Corporation

CourtDistrict Court, S.D. Illinois
DecidedMarch 18, 2022
Docket3:20-cv-00540
StatusUnknown

This text of Mangum v. United States Steel Corporation (Mangum v. United States Steel Corporation) is published on Counsel Stack Legal Research, covering District Court, S.D. Illinois primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Mangum v. United States Steel Corporation, (S.D. Ill. 2022).

Opinion

IN THE UNITED STATES DISTRICT COURT FOR THE SOUTHERN DISTRICT OF ILLINOIS

PHYLLIS MANGUM, ) ) Plaintiff, ) ) vs. ) Case No. 3:20-CV-540 ) UNITED STATES STEEL ) CORPORATION D.B.A. GRANITE ) CITY STEEL CORPORATION, ) ) Defendant.

MEMORANDUM AND ORDER

BEATTY, Magistrate Judge: BACKGROUND Plaintiff Phyllis Mangum (“Plaintiff”) is a black female who brings this action pursuant to Title VII of the Civil Rights Act of 1964 (“Title VII”), 42 U.S.C. § 2000e, et seq., and the Illinois Human Rights Act (“IHRA”), 775 ILCS 5/1-101, et seq. Mangum claims her former employer, United States Steel Corporation (“U.S. Steel”), discriminated against her based on her race and gender and retaliated against her for reporting the discrimination.

On June 22, 2021, U.S. Steel filed a motion for summary judgment on the merits of Mangum’s claims (Docs. 34-36). On July 26, 2021, Mangum filed a response in opposition to the summary judgment motion and a statement of additional facts (Docs. 39 & 40). On August 19, 2021, U.S. Steel filed a reply in support of its summary judgment motion (Doc. 45) and a response to Mangum’s statement of additional facts (Doc. 46). For the reasons outlined below, the summary judgment motion is granted in part and denied in part. Specifically, it is granted as to Mangum’s retaliation claims and

denied as to Mangum’s discrimination claims. UNDISPUTED MATERIAL FACTS The following material facts are not genuinely disputed.1 Defendant U.S. Steel is a steel manufacturer that produced hot-rolled, cold-rolled, and coated steel products for customers to use in construction, containers, piping and tubing, automobiles, and other industries (Doc. 35-1). U.S. Steel operates a facility known as “Granite City Works” in

Granite City, Illinois (“Granite City Facility”) (Id.). One of the departments at the Granite City Facility is the Hot Strip Mill Department. In the Hot Strip Mill Department, employees are involved in taking large, flat rectangular pieces of steel and forming them into steel circles/coils (Doc. 35-1) (Doc. 35-2, p. 25) (Doc. 35-3, p. 8 & 10-11). The Hot Strip Mill is a twenty-four (24) hour, seven (7) day a week, continuous operation (Doc. 35-3, p.

11). Phyllis Mangum is an African-American female (Doc. 35-2, p. 115). She was employed at the Granite City Facility from July 2018 to October 9, 2019 (Id. at p. 34). Mangum was a Shift Manager in the Hot Strip Mill Department (Id. at p. 25). A Shift Manager is also known as a “Roller” (Doc. 35-3, p. 15).

1 U.S. Steel’s motion for summary judgment contains statements of facts and argument related to Mangum’s perceived cause of action for a hostile work environment. However, Mangum concedes in her opposition to the motion that she is not proceeding under a hostile work environment claim (Doc. 40, p. 9-10). Thus, the Court does not address U.S. Steel’s related arguments or include the supporting statements of fact in this Memorandum and Order. Joe Spanberger (“Spanberger”) has been employed with U.S. Steel for more than twenty-five (25) years at the Granite City Facility (Doc. 35-1) (Doc. 35-4, p. 6). Spanberger

has held the positions of Shift Manager, Process Coordinator and Operations Manager in the Hot Strip Mill (Doc. 35-4, p. 6 & 11). When Mangum began her employment with U.S. Steel, Spanberger held the position of Process Coordinator (Id. at p. 9). As Process Coordinator, Spanberger was the direct supervisor of Shift Managers, including Mangum (Id. at p. 9-10). In October 2018, Spanberger was promoted to the position of Operations Manager

of the Hot Strip Mill Department (Id. at p. 6-7). At Spanberger’s promotion to Operations Manager, Jordan McBride (“McBride”) was hired to fill the Process Coordinator position made available by Spanberger’s promotion (Doc. 35-4, p. 1 & 16-17) (Doc. 35-4, p. 7). McBride has continued in the position of Process Coordinator since November 2018 (Doc. 35-3, p. 7-8). McBride worked for U.S. Steel from 2006 to 2015, then left U.S. Steel before

coming back to the company in November 2018 for the Process Coordinator position (Id. at p. 14-16). For a three or four-year period between 2006 and 2015, McBride was a Shift Manager of the Hot Strip Mill Department (Id. at p. 15). From November 2018 to the conclusion of Mangum’s employment with U.S. Steel, McBride supervised all Shift

Managers, including Mangum (Id. at p. 104). Since November 2018, Spanberger has been McBride’s direct supervisor (Doc. 35-4, p. 14). During Mangum’s employment, she was one of four Shift Managers in the Hot Strip Mill Department (Doc. 35-2, p. 26). Shift Managers’ duties include managing the day-to-day activities in the Hot Strip Mill Department (Id. at p. 25). Depending on the shift worked, Shift Managers are responsible for anywhere from 35 to 100 subordinate

employees (Id. at p. 31-33). The four Hot Strip Mill Shift Managers during Mangum’s employment at U.S. Steel were Emmett Callaway (black male); Marty Steinmeyer (white male); Brian Jarvis (white male); and Mangum (black female) (Id. at p. 26-27 & 31). U.S. Steel operates a corporate ethics and compliance program grounded in the S.T.E.E.L. Principles (Doc. 35-1) (Doc. 35-9). Mangum was trained on the S.T.E.E.L. Principles at U.S. Steel (Doc. 35-2, p. 45). The S.T.E.E.L. Principles set expectations for U.S.

Steel employees worldwide (Doc. 35-9). The “S” in S.T.E.E.L. stands for “Safety First” (Doc. 35-2, p. 44) (Doc. 35-9). The Hot Strip Mill Department is a dangerous work environment if employees do not follow proper procedures (Doc. 35-2, p. 50). In the event employees fail to follow standard operating procedures, an employee can be seriously injured or killed on the job

(Doc. 35-1). Standard operating procedures require employees to lock out certain machinery when it is being inspected or worked on (Doc. 35-1) (Doc. 35-2, p. 52). Locking out prevents the machinery from unintentionally moving and/or energizing, and is, therefore, a key protocol for avoiding injuries to employees (Doc. 35-1). Spanberger and McBride regularly discussed Mangum’s job performance during

her employment with U.S. Steel (Doc. 35-1) (Doc. 35-3, p. 70). McBride stated that of the four Shift Manager he supervised, Mangum was the “weakest link” and had the least grasp on the U.S. Steel standards (Doc. 35-3, p. 17-18 & 20-21). However, Mangum testified that two other Shift Managers, Steinmeyer and Jarvis, routinely created safety issues that she reported to McBride and Spanberger (Doc. 39-1, p. 47). Further, Mangum testified she knew many of U.S. Steel’s standards very well and asked for help when she

needed additional understanding (Id. at p. 58). Additionally, Spanberger could only recall two times that Mangum could not remember a standard and he stated that he and other managers could not recall all of the standards from memory (Doc. 39-3, p. 33 & 35). McBride testified that Mangum was “dangerous” and he was concerned that her safety performance would cause injury or death (Doc. 35-3, p. 88). On August 2, 2019, Spanberger emailed the Granite City Facility Coordinating Manager of Employee

Relations, Lydia Kachigian (“Kachigian”) the following message: “I have some questions about starting a PIP with Phyllis [Mangum]. I spent a lot of time today observing her as she performed her normal duties. I think she might be worse than I thought about understanding her role” (Doc. 35-1) (Doc. 35-5). On August 5, 2019, Spanberger sent Kachigian an email, with the subject line

“Phyllis Mangum PIP,” that included a list of performance issues involving Mangum (Doc. 35-6). The list included: 1. Has no mechanical or electrical understanding 2. Does not know the process SOP, QSOP, SJP. 3.

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