Opinion · Court of Appeals for the Ninth Circuit

Medina Rene v. Mgm Grand Hotel, Inc.

305 F.3d 1061

Type
Opinion
Court
Court of Appeals for the Ninth Circuit
Jurisdiction
Federal
Date
2002-09-24
Topic
employee-benefits-and-executive-compensation

How later courts describe this case

  • holding evidence that male harasser "targeted body part clearly linked to" male plaintiff's "sexuality" supported claim for discrimination "because of" sex
  • noting that prohibiting “[p]hysical sexual assault” under Title VII is “routine[]” in the courts of appeals
  • finding that male employer who was subject to severe, pervasive, and unwelcome physical conduct was harassed because of his sex because he was subjected to attacks “which targeted body parts clearly linked to his sexuality”
  • holding co-workers’ jokes, gifts, and degrading sexual behavior constituted actionable sex stereotyping
  • noting harasser's focus on "body parts clearly linked to [a man's] sexuality"
  • finding severe conduct 9 where, over two years, a homosexual butler’s coworkers would whistle and blow kisses at 10 him, tell him crude jokes, call him diminutive names, caress him, and put their fingers in 11 his anus through his clothing
  • "an employee’s sexual orientation is irrelevant for purposes of Title VII. It neither pVovides nor precludes a cause of action for sexual harassment.”
  • gay male employee taunted and harassed by coworkers for having feminine traits successfully pleaded claim of sex harassment under Title VII

Citator

UpLaw has not yet analyzed Medina Rene v. Mgm Grand Hotel, Inc.. The absence of a flag is not a finding that it is good law.

Authority status
pending
Cited by
82 opinions