Wright v. Portercare Adventist

52 F.4th 1243
CourtCourt of Appeals for the Tenth Circuit
DecidedNovember 9, 2022
Docket21-1038
StatusPublished
Cited by3 cases

This text of 52 F.4th 1243 (Wright v. Portercare Adventist) is published on Counsel Stack Legal Research, covering Court of Appeals for the Tenth Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Wright v. Portercare Adventist, 52 F.4th 1243 (10th Cir. 2022).

Opinion

Appellate Case: 21-1038 Document: 010110766170 FILED Page: 1 Date Filed: 11/09/2022 United States Court of Appeals Tenth Circuit

PUBLISH November 9, 2022 Christopher M. Wolpert UNITED STATES COURT OF APPEALS Clerk of Court

TENTH CIRCUIT

STACEY WRIGHT,

Plaintiff - Appellant, v. No. 21-1038 PORTERCARE ADVENTIST HEALTH SYSTEM, a Colorado nonprofit corporation, d/b/a Centura Health - Castle Rock Adventist Hospital,

Defendant - Appellee.

Appeal from the United States District Court for the District of Colorado (D.C. No. 1:19-CV-01067-WJM-STV)

Richard P. Barkley (Jeanine M. Anderson and Claire E. Sweetman, with him on the briefs), Anderson Barkley, LLC, Denver, Colorado, for Plaintiff - Appellant *.

M. Brian Sabey (Mark L. Sabey with him on the brief), Hall, Render, Killian, Heath & Lyman, P.C., Denver, Colorado, for Defendant - Appellee.

Before McHUGH, MURPHY, and ROSSMAN, Circuit Judges.

* Richard P. Barkley argued on behalf of Appellant. An order was entered on April 21, 2022, granting the appellant’s motion for Mr. Barkley to withdraw as counsel. Claire E. Sweetman also filed a motion to withdraw as counsel and that motion was granted on February 2, 2022. Appellate Case: 21-1038 Document: 010110766170 Date Filed: 11/09/2022 Page: 2

MURPHY, Circuit Judge.

I. INTRODUCTION

Stacey Wright worked as the charge nurse in the cardiac catheterization lab

(“cath lab”) at Castle Rock Adventist Hospital (“Castle Rock”), a unit of the

Portercare Adventist Health System (“Portercare”). After she was denied a

transfer within Portercare and was terminated from her position at Castle Rock,

Wright brought Title VII claims for discrimination and retaliation. The district

court granted Portercare summary judgment, concluding it advanced legitimate,

nondiscriminatory reasons for its employment decisions and Wright failed to

adduce evidence supporting a finding of pretext. Exercising jurisdiction pursuant

to 28 U.S.C. § 1291, this court affirms.

II. BACKGROUND

A. Factual Background

1. Management Transition in the Cath Lab

Wright began working in the cath lab in 2013 and became its charge nurse

within one year. From 2012 to mid-2017, Russ Royer was the cath lab’s manager

and Wright’s direct supervisor. Under Royer’s supervision, Wright received

positive performance reviews. Royer averred that Wright was “one of the most

skilled nurses that [he] ever worked with in all [of his] years in the healthcare

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industry, and it [was] difficult for [him] to find anything to complain about when

it comes to [her] work performance.” After Royer left his position, cath lab staff

and Castle Rock physicians encouraged Wright to apply to take his place.

Although Wright applied to become the cath lab’s manager, the position remained

vacant while the department’s leadership underwent a change.

In fall of 2017, the cath lab came under the control of Carol Pontius.

Pontius hired Suzanne Parker as the cath lab’s director and Julie Lombard as the

lab’s manager. The decision to hire Lombard frustrated the lab’s four permanent

staff members: Frank Przymus, John West, Ryan Voegle, and Wright. In

particular, Wright found it difficult to accept Lombard as her supervisor and

admitted she was “less than” “very friendly and open” towards Lombard or

willing to assist Lombard’s transition as she became cath lab manager. The

tension between Lombard and Wright did not escape the attention of other cath

lab staffers. West averred that the decision to hire Lombard and to task Wright

with Lombard’s training caused “obvious rifts” and “a tense vibe in the room.” 1

1 West averred as follows:

[Pontius] asked [Wright] to train [Lombard] about the Cath Lab. That did not seem fair to me, to hire [Lombard] and thereby suggest that [Wright] was not capable of running the Cath Lab, but then to ask [Wright] to train [Lombard] how to do the job. It was not a good situation, and there were obvious rifts between [Wright] and [Lombard] and between [Wright] and [Pontius]. (continued...)

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Wright testified she and Lombard “had very few conversations,” and

acknowledged she did not think “there’s anybody in this whole hospital that

doesn’t know how I’m disappointed in the current state of our department.” 2

2. Incidents Underlying Adverse Employment Actions

a. Data Reports

The physicians served by the cath lab expected the lab to prepare several

monthly data reports. During his tenure, Royer prepared the bulk of these

reports. 3 After Royer left Castle Rock, Clint Watson, then-director of the cath

1 (...continued) [Wright] did not get along well with [Lombard]. When they were together there was a tense vibe in the room. When [Lombard] would come in, [Wright] would be very quiet, which was not her usual self. Their interaction was minimal. . . .

West swore out a second affidavit clarifying some of the averments set out in his original affidavit. He did not, however, change his testimony about the tension between Wright and Lombard, nor his testimony that Wright was generally quiet in Lombard’s presence. 2 On October 30, 2017, Wright emailed Jodi Parrish, a Castle Rock human resources official, to set up a meeting between Parrish and the cath lab’s permanent staff. Wright requested that the meeting take place without the cath lab’s management team. Parrish’s notes regarding that meeting indicate the leadership change left the staff with “a lot of mistrust.” The staff did not “even want to talk to [Lombard]” and indicated it did not “make sense to them” that Wright, with her fifteen years of experience, was passed over in favor of Lombard, who had no cath lab experience. 3 According to Wright, “Royer delegated to [her] the data reporting for NCDR Databases as it was a very time consuming task.” She also testified she was in charge of “ACS” data abstraction “from day one.”

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lab, took over primary responsibility for the data reports. In two separate months

while Watson was responsible for the reports, he asked for Wright’s help to

compile the reports. Although she “struggled,” she and Watson were able to work

together to achieve the task. When the cath lab came under Pontius’s control,

Parker replaced Watson as the cath lab’s director.

On October 24, 2017, Wright sent a series of emails to Lombard about the

data reports. 4 Lombard attempted to communicate with Wright about the data

reports by text. Despite her expressed preference for text messages as “the best

way to communicate with her,” Wright did not respond to Lombard’s texts. On

4 The bodies of the relevant emails state as follows:

!Attached is the ACS data spreadsheet. This information needs to be sent to Susan Beech each month. I try to get it to her as soon as I can since she has to collect the info from all South Denver facilities. I have reported out up until September 2017, so she will need October data at the beginning of November.

Let me know if you have any questions and I can try to assist you!

!Attached is the EP dashboard for the SDG. This is something Brenda Yost will ask you to provide monthly—similar to the ACS dashboard.

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Bluebook (online)
52 F.4th 1243, Counsel Stack Legal Research, https://law.counselstack.com/opinion/wright-v-portercare-adventist-ca10-2022.