Lesiv v. Illinois Central Railroad Co., No. 21-2496 (7th Cir. 2022)
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Lesiv works for the Illinois Central Railroad. His brother, Lyubomir, had also worked there but left shortly after he filed a discrimination and retaliation charge against Illinois Central. Lyubomir later filed a discrimination suit in state court; Lesiv testified in a 2018 deposition. Almost three months later, his supervisors gave Lesiv a dangerous work assignment and suspended him after he refused to complete it. Lesiv asserts that Illinois Central violated Title VII of the Civil Rights Act by direct individual retaliation because he testified in his brother’s lawsuit, 42 U.S.C. 2000e-3(a), and by third-party retaliation, to harm his brother in retaliation for his brother’s charges.
The Seventh Circuit affirmed summary judgment for Illinois Central on both claims. A retaliation claim requires proof that the employer took a “materially adverse” action against an employee because he engaged in protected activity or because another person close to him did so. A jury could find here that the dangerous work assignment and the suspension amounted to materially adverse actions but could not find retaliatory motives. Lesiv had no evidence that his supervisors took these actions against him because of his or his brother’s protected activities. None of the relevant supervisors knew that Lesiv had engaged in protected activity by testifying in his brother’s lawsuit.
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