Opinion · Court of Appeals for the Sixth Circuit

Mary Tuck v. Hca Health Services of Tennessee, Inc., D/B/A Donelson Hospital

Mary Tuck v. Hca Health Servs. of Tenn., Inc., D/B/A Donelson Hosp., 7 F.3d 465 (6th Cir. 1993)

Type
Opinion
Court
Court of Appeals for the Sixth Circuit
Jurisdiction
Federal
Date
1993-11-19
Topic
employee-benefits-and-executive-compensation

indicating that “[i]ssues involving the essential elements of the job ... are primarily factual issues” | noting that a written job description was not controlling in determining whether the claimant could perform a position’s essential functions | stating that issues involving the essential functions of a job “are primarily factual issues” | “Issues involving the essential elements of the job and reasonable accommodation are primarily factual issues.” | employer hospital failed to reasonably accommodate when did not offer nurse opportunity for reduced shifts being advertised | determination that lifting is essential function of job should not hinge on official job description, and should be determined by the actual demands of the job | determination that lifting is essential function of job should not hinge on official job description, and should be determined by the actual demands of the job | “exhaustion is not a prerequisite to private enforcement of section 504” | when hospital offers a restricted duty program in order to allow a temporarily handicapped person to remain employed, it is a question of fact for the jury whether the employment on light duty indicates the employee is “otherwise qualified”

Citator

Cited by
37 opinions