Breneisen v. Motorola, Inc., No. 10-1982 (7th Cir. 2011)
Annotate this CaseReturning to work after 12 weeks of FMLA leave (29 U.S.C. 2615) to receive treatment for gastroesophageal reflux, employee was assigned to a different position. He received the same pay and benefits, but considered the change a demotion. Weeks later, he took additional leave for esophageal surgery. A few months later, he took leave to undergo total esophagectomy. He never returned and was terminated. He alleged that the esophagectomy was necessary because a supervisor caused him to suffer stress, high blood pressure, and reflux, which exacerbated his pre-existing medical condition. Following a 2008 Seventh Circuit decision, employee waived all claims except for retaliation by way of harassment between his second and third leaves. The judge barred evidence of a causal connection between the medical conditions and employer's alleged misconduct and held that employee exhausted his FLMA leave during his first leave. The Seventh Circuit affirmed. The cause of an injury is irrelevant under the FMLA, and, in any case, the employee exhausted his FMLA rights before the alleged misconduct. Another employee, who accepted a settlement on an FMLA retaliation claim, was not entitled to an award of attorney's fees that would be triggered by a judgment.
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