Ahearn v. Int'l Longshore & Warehouse Union, No. 11-35848 (9th Cir. 2013)
Annotate this CaseThis case arose when EGT filed charges against the Union with the Board after the Union engaged in protest activities at the site of a grain terminal operated by EGT. On appeal, the Union challenged the district court's contempt awards. The court concluded that the district court did not abuse its discretion when it awarded compensatory damages to EGT and that the record supported the amount of damages awarded to EGT. The court concluded, however, that the district court abused its discretion when it awarded compensatory damages to BNSF and the various law enforcement agencies that responded to the scenes of the Union's protests, because these entities were not parties to the underlying Board action. Accordingly, the court affirmed in part and reversed in part.
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Court Description: Labor Law. The panel affirmed in part, and reversed in part, the district court’s orders finding Locals 21 and 4 of the International Longshore and Warehouse Union in contempt and ordering it to pay compensatory damages, arising when the Union engaged in protest activities at a grain terminal operated by Export Grain Terminal, LLC, and Export Grain filed charges against the Union with the National Labor Relations Board. The panel held that Section 303 of the Labor Management Relations Act was not Export Grain’s sole remedy for obtaining damages resulting from unlawful labor activities. The panel further held that the district court did not abuse its discretion when it awarded compensatory damages to Export Grain, and that the record supported the amount of damages awarded to Export Grain and the NLRB. In addition, the panel held that Export Grain’s participation in the civil AHEARN V. INT’L LONGSHORE & WAREHOUSE UNION 3 contempt proceedings did not exceed the statutorily limited role under Section 160(l) of the National Labor Relations Act given to charging parties in an action before the NLRB. The panel also held that the district court abused its discretion when it awarded compensatory damages to Burlington Northern Sante Fe and the various law enforcement agencies that responded to the scenes of the Union’s protests, because those entities were not parties to the underlying NLRB actions.
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