Samiksha Jaiswal (Editor)

Oncale v. Sundowner Offshore Services, Inc.

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Citations
  
523 U.S. 75 (more)

End date
  
1998

Concurrence
  
Thomas

Oncale v. Sundowner Offshore Services, Inc. https4bpblogspotcomLUtEH1LRPcIVtnrUgg326I

Full case name
  
Joseph Oncale v. Sundowner Offshore Services, Inc.

Prior history
  
Defense verdict upheld by the Fifth Circuit.

Majority
  
Scalia, joined by Unanimous


Similar
  
Harris v. Forklift Systems, Inc., Meritor Savings Bank v. Vinson, Burlington Industries, Inc. v. Ellerth

Oncale v sundowner offshore services inc atty anthony haller comments


Oncale v. Sundowner Offshore Services, 523 U.S. 75 (1998), was a decision of the Supreme Court of the United States. The case arose out of a suit for sex discrimination by a male oil-rig worker, who claimed that he was repeatedly subjected to sexual harassment by his male co-workers with the acquiescence of his employer. The Court held that Title VII's protection against workplace discrimination "because of... sex" applied to harassment in the workplace between members of the same sex.

Contents

Facts of the case

In late October 1991, Joseph Oncale was working for Sundowner Offshore Services on a Chevron USA Inc. oil platform in the Gulf of Mexico. He was employed as a roustabout on an eight-man crew. On several occasions, Oncale was forcibly subjected to sex-related, humiliating actions against him by his coworkers in the presence of the rest of the crew. Oncale was also sodomized with a bar of soap, and threatened with rape. Oncale's complaints to supervisory personnel produced no remedial action. Instead, the company's Safety Compliance Clerk called him a name suggesting homosexuality. Oncale eventually quit—asking that his pink slip reflect that he "voluntarily left due to sexual harassment and verbal abuse."

Oncale filed a complaint against Sundowner in the United States District Court for the Eastern District of Louisiana, alleging that he was discriminated against in his employment because of his sex. Relying on earlier precedents, the district court granted summary judgment to the defendant, writing that "Mr. Oncale, a male, has no cause of action under Title VII for harassment by male co-workers." Oncale appealed, the United States Court of Appeals for the Fifth Circuit affirmed the decision, and then after granting a petition for writ of certiorari, the Supreme Court reversed the decision.

Decision

Justice Scalia, writing for the unanimous court (with Justice Thomas concurring), reversed the decision of the district court and remanded the case for further proceedings in accordance with the instruction that a male can be discriminated against by members of the same sex under Title VII.

Oncale v. Sundowner Offshore Services set the precedent for analyzing same-sex harassment, and sexual harassment without motivation of "sexual desire", stating that any discrimination based on sex is actionable so long as it places the victim in an objectively disadvantageous working condition, regardless of the gender of either the victim or the harasser.

The application of the Oncale case has caused some difficulty in the lower federal courts, which have struggled with how to determine whether any particular case of same-sex harassment is "because of sex." In particular, courts have struggled with how to deal with harassment that appears to be based on actual or perceived sexual orientation, because employment discrimination based on sexual orientation was not explicitly forbidden by U.S. federal law. In July 2015, the Equal Employment Opportunity Commission determined that employment discrimination based on sexual orientation was in fact illegal under Title VII of the Civil Rights Act of 1964, using the Oncale decision as a basis.

Because it set a precedent regarding harassment "because of sex," Oncale v. Sundowner has been lauded as a landmark gay rights case, even though all those involved were heterosexual.

References

Oncale v. Sundowner Offshore Services, Inc. Wikipedia