570 U.S. 338 (2013)
The case of Nassar v. University of Texas Southwestern Medical Center holds a significant place in employment law, particularly concerning the standards of proof required for retaliation claims under Title VII of the Civil Rights Act of 1964.
Does a claim of retaliation under Title VII require proof that the plaintiff's protected activity was the 'but-for' cause of the employer's adverse action?
The ruling established that a plaintiff in a Title VII retaliation case must prove that the unlawful retaliation would not have occurred 'but for' the desire to retaliate.
The Supreme Court held that Title VII retaliation claims require proof of 'but-for' causation, meaning the adverse action would not have occurred absent a retaliatory motive.
Nassar v. UTSMC is significant for setting a precedent that firmly entrenches the 'but-for' causation standard in retaliation claims under Title VII. This elevated requirement fundamentally impacts potential plaintiffs’ litigation strategies, the ability to prove claims, and the adjudication processes at lower courts. For law students, understanding this case is crucial for grasping the relationship between statutory language, judicial interpretation, and the practical implications these have on employment discrimination jurisprudence.