|May 23, 2016 | www.fisherphillips.com|
In a 7 to 1 decision, the U.S. Supreme Court found today that the statute of limitations for a constructive discharge claim under Title VII begins on the date of the employee’s notice of resignation, not on the date of the last alleged discriminatory act by the employer. This is a bad decision for employers and will likely lead to an uptick in legal claims filed by disgruntled former workers. It opens the door for former employees to file constructive discharge claims long after the alleged discriminatory conduct occurred by simply delaying their resignation indefinitely. Green v. Brennan.