Mui v. Massachusetts Port Authority

89 N.E.3d 460, 478 Mass. 710
CourtMassachusetts Supreme Judicial Court
DecidedJanuary 29, 2018
DocketSJC 12296
StatusPublished
Cited by25 cases

This text of 89 N.E.3d 460 (Mui v. Massachusetts Port Authority) is published on Counsel Stack Legal Research, covering Massachusetts Supreme Judicial Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Mui v. Massachusetts Port Authority, 89 N.E.3d 460, 478 Mass. 710 (Mass. 2018).

Opinion

BUDD, J.

*461 **710 The plaintiff, Tze-Kit Mui, sued his former employer, Massachusetts Port Authority (Massport or agency), alleging that Massport failed to timely compensate him for his accrued, unused sick time under the Wage Act, G. L. c. 149, §§ 148, 150 (Wage Act or act). A Superior Court judge allowed Mui's motion for judgment on the pleadings. Massport appealed, and we transferred the case here on our own initiative. Because we conclude that payment for accrued, unused sick time (sick pay) does not count as "wages" under the act, we vacate the judgment and remand the matter to the Superior Court. 1

Background . In 2013, Massport initiated disciplinary proceedings **711 against Mui, a longtime employee. 2 One week later, he applied for retirement. Massport's employees' retirement system set Mui's retirement date retroactively, despite the fact that the disciplinary proceedings had not been resolved. Several weeks later, Massport discharged Mui for cause. 3 The termination was subsequently overturned pursuant to a grievance procedure. 4

Under Massport's sick pay policy, eligible employees receive payment for a percentage of the value of their accrued, unused sick time upon separation from the agency. 5 Employees who are discharged for cause are not eligible for sick pay.

Prior to the completion of the grievance process, Massport's position was that because the agency initiated disciplinary proceedings against Mui by suspending him prior to his application for retirement, and then terminated him (an action that was later reversed), he was not entitled to any sick pay. Once the arbitrator ruled that Massport could not terminate Mui because he had already retired, the agency paid the value of Mui's accrued sick time pursuant to its policy. Because of the grievance proceedings, however, the payment was made over one year later than Mui's effective retirement date. 6

Mui brought suit against Massport, claiming that the agency violated the Wage Act by failing to compensate him for his accrued, unused sick time within the time frame mandated by the act. The Superior Court judge agreed and allowed Mui's motion for judgment on the pleadings. This appeal followed.

*462 Discussion . Originally enacted in 1879, the purpose of the Wage Act is "to protect employees and their right to wages." Electronic Data Sys. Corp . v. Attorney Gen ., 454 Mass. 63 , 70, 907 N.E.2d 635 (2009). Among other things, the Wage Act requires the payment **712 of wages on a weekly or biweekly basis. The act provides that "any employee leaving his [or her] employment shall be paid in full on the following regular pay day," and that "any employee discharged from ... employment shall be paid in full on the day of his discharge ... the wages or salary earned by him." G. L. c. 149, § 148. Violations of the act result in strict liability and treble damages in the civil context, as well as potential criminal liability. G. L. c. 149, §§ 27C, 148, 150. Mui argues that because his sick pay, as wages under the act, was not paid to him until well after he separated from Massport, the agency violated the act (and, thus, owes him treble damages).

Whether the Wage Act encompasses sick pay is a question of statutory interpretation requiring de novo review. Commonwealth v. Martin , 476 Mass. 72 , 75, 63 N.E.3d 1107 (2016). Our analysis begins with the plain language of the statute, which is the "principal source of insight into legislative intent." Water Dep't of Fairhaven v. Department of Envtl. Protection , 455 Mass. 740 , 744, 920 N.E.2d 33 (2010), quoting Providence & Worcester R.R . v. Energy Facilities Siting Bd ., 453 Mass. 135 , 142, 899 N.E.2d 829 (2009).

The act does not define "wages" per se, but does state that " 'wages' shall include any holiday or vacation payments due an employee under an oral or written agreement." G. L. c. 149, § 148. Additionally, the term encompasses "commissions when the amount of such commissions ... has been definitely determined and has become due and payable to [the] employee." Id .

Notably, the act does not mention sick pay. Certainly, the absence of an explicit reference to sick pay in the statute does not end our inquiry. "The word 'include' in a statute generally signals that entities not specifically enumerated are not [necessarily] excluded." 2A N.J. Singer & S. Singer, Statutes and Statutory Construction § 47:25 (7th ed. rev. 2014). See Federal Election Comm'n v. Massachusetts Citizens for Life, Inc ., 769 F.2d 13 , 17 (1985), judgment aff'd, 479 U.S. 238

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Cite This Page — Counsel Stack

Bluebook (online)
89 N.E.3d 460, 478 Mass. 710, Counsel Stack Legal Research, https://law.counselstack.com/opinion/mui-v-massachusetts-port-authority-mass-2018.