Sattar v. Johnson

129 F. Supp. 3d 123, 2015 U.S. Dist. LEXIS 122025, 2015 WL 5439064
CourtDistrict Court, S.D. New York
DecidedSeptember 11, 2015
DocketNo. 12 Civ. 7828(GWG)
StatusPublished
Cited by13 cases

This text of 129 F. Supp. 3d 123 (Sattar v. Johnson) is published on Counsel Stack Legal Research, covering District Court, S.D. New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Sattar v. Johnson, 129 F. Supp. 3d 123, 2015 U.S. Dist. LEXIS 122025, 2015 WL 5439064 (S.D.N.Y. 2015).

Opinion

OPINION AND ORDER

GABRIEL W. GORENSTEIN, United States Magistrate Judge.

Plaintiff Mohammad Sattar brings this action pursuant to Title VII of the Civil Rights Act of 1964, 42 U.S.C. §§ 2000e to e-17 ("Title VII”) and the Age Discrimination in Employment Act of 1967, 29 U.S.C. §§ 621-34 (“ADEA”), alleging that defendant Jeh Johnson, in his capacity as the Secretary of Homeland Security and by through the' United States Immigration and Customs Enforcement (the “Government”), discriminated against him on the basis of 'his age, national origin, religion, and gender. Sattar claims he was not selected for a promotion, was subjected to a hostile work environment, and experienced retaliation as a result of bringing complaints about the alleged discrimination. The parties have consented to a United States Magistrate Judge presiding over this case under 28 U.S.C. § 636(c). The Government has moved for summary judgment.2 For the reasons given below, the Government’s motion is granted.

[128]*128I. BACKGROUND

A. Facts

Unless otherwise noted, the following facts are either undisputed or reflect Sat-tar’s version of the facts as supported by admissible evidence.

Sattar is a 72-year-old Muslim man who is originally from Bangladesh. See Deposition of Mohammad Sattar held September 22, 2014, annexed in part as Ex. A to Folch Decl. (“Gov’t Sattar Dep.”) and in part as Ex. 1 to Gastman Decl. (“PI. Sattar Dep.”), at 31; Gov’t 56.1 Stmt. ¶ A.1;. pi. 56.1 Stmt. ¶ A.1. He earned a Bachelor of Science degree from Dhaka University in Bangladesh. See id. at 38-39. He also attended LaGuardia Community College and Queens College, earning 166 credits, though he did not graduate. See id.; Resume of Mohammad Sattar, annexed as Ex. G to Folch Decl. (“Sattar Resume”),-at US_00131. He completed six credits in accounting and- nine in economics as electives, but his concentration was in computer science and statistics. Pl. Sattar Dep. at 39; see also Sattar Resume at US-00131,

Sattar began working for the Immigration and Naturalization Service, whose successor agency is now part of the Department of Homeland Security (“DHS”), in 1981 as a part-time language interpreter and translator. See Pl. Sattar Dep. at 43-44; Gov’t 56.1 Stmt. ¶A.4; Pl. 56.1 Stmt. ¶ A.4. At some point, he left that position to work for the FBI. See Pl. Sattar Dep. at 44. In March of 1989, he began working in the Federal Protective Service (“FPS”) as a full-time GS-5 Control Room Operator. See id. at 46-47; Gov’t 56.1 Stmt. ¶-A5; Pl. 56.1 Stmt. If A,5. FPS is a branch of DHS, providing security at federal facilities. See Deposition of Martin McRimmon held September 9, 2014, annexed in part as Ex. B to Folch Decl. (“Gov’t McRimmon Dep,”) and in part as Ex. 2 to Gastman Decl. (“Pl. McRimmon Dep.”), at 31.

In 1993, Sattar was involuntarily transferred to a procurement position within FPS. See PL Sattar Dep. at 53-54; Gov’t Sattar Dep. at 63. He believed this transfer was due to the fact that his, name indicated that he was Muslim, and some higher-ups in the organization were “touchy” about having a Muslim working in the control room! PL Sattar Dep. at 54-55. This belief was based on a conversation shortly after this transfer, in which John Ulianko, a regional director who supervised Sattar’s group at FPS, see November 7, 2014 Deposition , of John Ulianko, annexed in part as Ex. '4 to Gastman Decl. (“Ulianko Dep.”), at 25-26, 171; Pl. Sattar Dep. at 56, asked Sattar: “Are those terrorists your cousins?” in reference to recent terrorist attacks, see id. at 54-55, 80; Pl. 56.1 Stmt. ¶¶ A.6.a; 100-01. Additionally, Sattar had once told Ulianko that “I am an. Alimadiyya Muslim,” and .Ulianko replied, “[a]fter all, you’re a Muslim.” PL Sattar Dep. at 78. However, Ulianko did not have anything to do with the transfer. See id. at 80. At some point, Ulianko discovered that Sattar had been going into the men’s room, kneeling down in a stall, and praying. See Am. Compl. ¶ 60; Affidavit of John A. Ulianko, dated Nov. 10, 2005, annexed as Ex. 10 to [129]*129Gastman Decl. (“Ulianko Aff”), at Plaintiff002077. On September 12, 1997, Sat-tar’s then-supervisor, John Natale, made a gesture in which he pretended to shoot Sattar with an imaginary rifle,. making a “bang” sound. See Pl. Sattar Dep. at 75; Affidavit of John Walter Natale, dated June 24, 1998, annexed as Ex. 8 to Gastman Decl., at 2.

In 1995, Sattar was promoted to a position as a GS-7 Program Technician, where his duties included ordering supplies, approving orders, completing invoices, making payments, and keeping records of transactions. See Pl. Sattar Dep. at 68; Ulianko Aff. at Plaintiff002077; ' Pl. 56.1 Stmt. ¶¶ A.8.a, 102. According to’ Ulianko, this is “a dead end position.” Ulianko Aff. at Plaintiff002077. Indeed, this was the last promotion Sattar received, though he applied for others. See Pl. Sattar Dep. at 7, 242. At some unspecified time. after 1995, his title changed to Mission Support Assistant. See Pl. Sattar Dep. at 80; see also September 12, 2014 Deposition of Miankanze Bamba, annexed in part as Ex. D to Folch Decl. (“Gov’t Bamba Dep.”) and in part as Ex. 3 to Gastman Decl. (“Pl. Bamba Dep.”), at 40 (Sattar’s position is listed as “Procurement Technician,” but it should be “Mission Support Specialist”). However, the only difference between the Program Technician ánd Mission Support positions was their titles. ) See Pl. McRimmon Dep. at 46-47. Sattar has been in either óf these two positions, at the same pay grade, since 1995. See Pl. Sattar Dep. at 7; Pl. McRimmon Dép. at 47. His current job duties include paying bills normally up to $30,000, “P card” purchasing, working with “miscellaneous ... [and] recurring obligations,” doing “reconciliations and closeouts,” and making direct payments to vendors. Pl. Bamba Dep. at 42, 47-48; see Pl. Sattar Dep. at 12-13. He had also “obligated” some transactions at the million-dollar level. Pl. Bamba Dep. at 42. Some of the budget and financial work that Sattar does, and has been doing for years, is the same as that done by a Budget Analyst. See id. at 46-48; Affidavit of Patricia Waskiewicz, annexed as Ex. 12 to Gastman Decl. (“Waskiewicz Aff.”), at US-00096. However, his work is on a smaller dollar scale, involving fewer lines of transactions. See Pl. Bamba Dep. at 49.

Since he has worked for FPS, Sattar has filed several equal employment opportunity (“EEO”) complaints. See Pl. 56)1 Stmt ¶¶0.64-70; Gov’t 56.1 Stmt. 11110.64-70; Pl. Mem. at 24; Am. Compl. ¶63. For example, on October 28, 1997, Sattar filed a complaint alleging that he was discriminated against based on his race, national origin, religion, and age in connection with his non-selection for. a Contract Specialist position. See Formal Complaint of Discrimination, annexed as Ex. 9. to Gastman Decl. at Plaintiff001554~55.- On May 11, 2005, Sattar filed an EEO complaint alleging that he had been discriminated against and denied promotions at FPS on the basis of his religion and national origin. See Complaint of Discrimination, attached to Report of Investigation annexed as Ex.

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Bluebook (online)
129 F. Supp. 3d 123, 2015 U.S. Dist. LEXIS 122025, 2015 WL 5439064, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sattar-v-johnson-nysd-2015.