Ranowsky v. National Railroad Passenger Corp.

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The DC Circuit affirmed the district court's grant of summary judgment for defendants in an action brought by plaintiff, a former Deputy Counsel, alleging that her termination was the product of discrimination based on her age and sex, in violation of the District of Columbia Human Rights Act (DCHRA). Plaintiff also alleged that Amtrak later retaliated against her for filing her EEO complaint, and that two of its employees aided and abetted those violations. The court held that plaintiff failed to point to record evidence from which a reasonable jury could infer either age or sex discrimination, and the sanction she sought was unwarranted. In this case, it was the Inspector General's prerogative to choose a General Counsel and Deputy Counsel with whom he felt he and his team could communicate clearly and efficiently, and in whom they could repose their trust and confidence; plaintiff's "primary clients" at the OIG all testified they had reservations about whether she was the best person to serve OIG; and they unanimously expressed concern that she was more likely to resist their objectives than to aid them. View "Ranowsky v. National Railroad Passenger Corp." on Justia Law