Marlean Ames v. Ohio Dep't of Youth Servs., No. 23-3341 (6th Cir. 2023)
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In this case heard by the United States Court of Appeals for the Sixth Circuit, the plaintiff, Marlean Ames, alleged that the Ohio Department of Youth Services discriminated against her on the basis of sexual orientation and sex under Title VII of the Civil Rights Act of 1964. Ames, a heterosexual woman, was an employee of the Department and was demoted from her position as Administrator of the Prison Rape Elimination Act, and denied a promotion to Bureau Chief of Quality. She was replaced in her role by a gay man and the Bureau Chief position was filled by a gay woman.
The court affirmed the district court's grant of summary judgment in favor of the Department. It found that Ames failed to provide sufficient evidence of "background circumstances" necessary to establish a prima facie case of discrimination based on sexual orientation. The court stated that a plaintiff who is a member of the majority must show suspicion that the defendant is an unusual employer who discriminates against the majority. Ames was unable to provide evidence that the decision-makers who demoted her were part of a minority group (gay people) or that there was a pattern of discrimination against heterosexuals by the Department.
As for Ames's sex discrimination claim, the court found that while Ames was replaced by a man, the Department had provided nondiscriminatory reasons for her demotion. The Department cited the need for improved performance and the fact that Ames's evaluations showed she met expectations rather than exceeded them. Ames was unable to show that the Department's reasons were without basis in fact, did not actually motivate the employer's actions, or were insufficient to motivate the employer's actions. Therefore, her claims of pretext were not persuasive.
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