Sutherland v. Peterson's Oil Service, Inc., No. 24-1431 (1st Cir. 2025)
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Jesse Sutherland was employed as an oil service technician at Peterson's Oil Service, Inc. ("Peterson's"). Two months into his job, he injured his right knee, leading to a torn meniscus and damaged patella. Sutherland requested reduced work hours due to his injury and eventually took a 12-week leave for knee surgery. Upon attempting to return to work, he was informed of his termination, effective the date he was supposed to return, citing a lack of work during the COVID-19 pandemic. Sutherland sued Peterson's for disability discrimination and related claims.
The United States District Court for the District of Massachusetts granted summary judgment in favor of Peterson's, leading Sutherland to appeal. The district court concluded that Sutherland did not provide sufficient evidence to establish a prima facie case of disability discrimination, particularly questioning whether his knee injury qualified as a disability under the ADA.
The United States Court of Appeals for the First Circuit reviewed the case and found that the district court erred in its analysis. The appellate court concluded that Sutherland provided sufficient evidence to show that his knee injury was a disability under the ADA, as it substantially limited his major life activities. The court also found that Sutherland's requests for reduced work hours were reasonable and that Peterson's failed to engage in the interactive process required by law. The appellate court vacated the district court's summary judgment on Sutherland's disability-related claims and remanded the case for further proceedings. However, the court affirmed the district court's decision regarding Sutherland's wrongful termination claim based on alleged violation of Massachusetts public policy, as Sutherland did not provide sufficient evidence of a well-defined public policy supporting his views on biofuel.
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