Dimanche v. Massachusetts Bay Transportation Authority, No. 17-1169 (1st Cir. 2018)
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The First Circuit affirmed the entry of a jury verdict awarding over $1.3 in compensatory damages and $1.3 million in punitive damages to Plaintiff, a black female former employee of the Massachusetts Bay Transportation Authority (MBTA), who claimed that her supervisors at the MBTA conspired to terminate her employment because of her race.
The Court held (1) the evidence was sufficient to support the compensatory damages award for wrongful termination and to justify the punitive damages amount; (2) the trial judge committed clear error in imposing a sanction for removing the entry of default, but the MBTA failed to show that it was prejudiced by the default sanction order; (3) MBTA failed to show that it was prejudiced when the trial judge allowed a hostile work environment theory not explicitly pled in the complaint to go to the jury; and (4) MBTA waived its claim that it should be able to take advantage of Buntin v. City of Boston, 857 F.3d 69 (1st Cir. 2017), decided while this case was on appeal.
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