Supreme Court rejects heightened standard for “reverse discrimination” Title VII claims: Ames v. Ohio Department of Youth Services

In Ames v. Ohio Department of Youth Services, No. 22-1039, the United States Supreme Court unanimously rejected a heightened “background circumstances” evidentiary standard for members of majority groups (often termed “reverse discrimination” plaintiffs) seeking to establish a prima facie case under Title VII.

Read more

Plaintiff, a heterosexual woman and longtime employee of Defendant, applied for a newly created position in 2019, which was filled by a lesbian woman. Shortly thereafter, Plaintiff was demoted from her existing role and replaced by a gay man. She subsequently sued under Title VII. The district court granted summary judgment for Defendant, concluding that Plaintiff failed to present evidence of “background circumstances” suggesting Defendant discriminated against a majority group, as required at the first step of the McDonnell Douglas burden-shifting framework under then-existing Sixth Circuit precedent. On appeal, the Sixth Circuit affirmed, holding that majority-group plaintiffs could satisfy this burden by demonstrating either that a member of the relevant minority group made the adverse employment decision or that a statistical pattern of discrimination existed. The Supreme Court granted certiorari to resolve a Circuit split concerning whether “majority-group plaintiffs are subject to a different evidentiary burden than minority-group plaintiffs at McDonnell Douglas’s first step.”

On certiorari, the Supreme Court reversed and remanded. The Court held that the text of Title VII draws no distinctions between majority and minority-group plaintiffs and, consistent with Griggs v. Duke Power Co. (1971) 401 U. S. 424, that “the standard for proving disparate treatment under Title VII does not vary based on whether or not the plaintiff is a member of a majority group.” The Court further noted its consistent rejection of “ ‘inflexible formulation[s]’ of the prima facie standard in disparate-treatment cases,” citing Teamsters v. United States, 431 U. S. 324, 358 (1977). The Supreme Court dismissed Defendant’s argument that the “background circumstances” rule did not merely impose a heightened evidentiary standard, finding it inconsistent with the Sixth Circuit’s own application, which clearly subjected Plaintiff to an elevated burden.

Full opinion

Scroll to Top