Jordan v. City of Houston, No. 19-20294 (5th Cir. 2020)
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The Fifth Circuit affirmed the district court's adverse grant of summary judgment entered on plaintiff's claims against her employer, the City of Houston, for discrimination and creating a hostile work environment in violation of Title VII of the Civil Rights Act of 1964.
The court held that plaintiff failed to raise a genuine dispute of material fact regarding the fourth element of her discrimination claim. In this case, plaintiff failed to show that she was similarly situated to other employees who were not members of her protected class and who were treated more favorably. The court held that plaintiff's proffered evidence regarding holdover overtime failed to show that her station-level supervisors treated her less favorably than her white, male comparators. In regard to ride-up overtime, the court held that plaintiff's allegations failed because neither of her coworkers held the same job or responsibilities or shared the same supervisor as her. The court also held that plaintiff failed to show a genuine dispute of material fact regarding her hostile work environment claim because she failed to show that the harassment affected a term, condition, or privilege of employment. Furthermore, plaintiff failed to show that her colleagues' actions were severe, physically threatening, or humiliating.
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