Ninth Circuit clarifies standards for inconsistent jury verdicts and jury instructions in Title VII cases: Lister v. City of Las Vegas

In Lister v. City of Las Vegas (2025) 148 F.4th 690, the Court of Appeals for the Ninth Circuit held that a hostile work environment jury instruction was not erroneous despite the omission of protected characteristics in certain sections, and that a district court did not abuse its discretion by not resubmitting an inconsistent verdict to a still-available jury where polling clarified the factual findings.

Plaintiff, an African-American female firefighter, sued under Title VII for alleged discrimination, harassment, and retaliation related to an interaction with a supervisor. Only her harassment and discrimination claims proceeded to trial. A jury found that Plaintiff suffered severe or pervasive harassment, but not on the basis of her gender or race. The jury also found no discrimination or retaliation, yet inconsistently awarded Plaintiff $150,000 in damages. After polling the jury on its verdict but not the damages, the district court entered judgment for Defendant with no damages. Plaintiff’s motion for a new trial was denied, and she appealed.

The Ninth Circuit affirmed the entry of judgment for Defendant and the denial of Plaintiff’s motion for a new trial. The court first held the jury instruction on Plaintiff’s hostile work environment claim was not erroneous despite the omission of race and gender from certain sections, as the protected characteristics were included in the instruction’s opening paragraph. It also rejected Plaintiff’s claim of conflicting burden of proof instructions, finding its Model Instructions allow for the two instructions in question to be used together and that no prejudice resulted. The Ninth Circuit next rejected Plaintiff’s argument that the district court abused its discretion by not resubmitting the inconsistent verdict to the available jury. Following Duk v. MGM Grand Hotel, Inc. (9th Cir. 2003) 320 F.3d 1052, the court held that a district court may reconcile a verdict on its own, especially after polling the jury confirms its factual findings. Based on these findings, the Ninth Circuit concluded the district court correctly denied Plaintiff’s motion for a new trial.

Full opinion

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