Cole v. Bd. of Trs. of N. Ill. Univ.

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Cole, an African-American has worked for Northern Illinois University in the Building Services Department since 1998. He alleges that beginning with his 2009 promotion to sub-foreman, he experienced race discrimination, retaliation, and a hostile work environment, including the discovery of a hangman’s noose in his workspace. In 2011, he was again promoted. Cole was the only African-American sub-foreman or foreman. He believed that others with the same title were paid more or given more authority and that he was the subject of surveillance. In 2012, Cole filed an ethics complaint with the university about various alleged unethical practices. Cole was later demoted and twice subjected to discipline. He sued, asserting violations of Title VII of the Civil Rights Act, 42 U.S.C. 2000e, and the Equal Protection Clause. The Seventh Circuit affirmed summary judgment in favor of the defendants. The hostile work environment claim presented the closest question, but Cole did not show a basis for employer liability for the alleged harassment. Cole did not offer evidence that would allow a reasonable trier of fact to find that he was subjected to disparate treatment based on his race. His retaliation claim failed because he offered no evidence that he engaged in protected activity. View "Cole v. Bd. of Trs. of N. Ill. Univ." on Justia Law