Toler v. Sud-Chemie, Inc.
Annotate this CaseEmployer discharged Plaintiff after coworkers reported that Plaintiff made racist comments in the workplace. Plaintiff sued Employer and the coworkers for defamation. The trial court directed a verdict for Employer and one of the coworkers, citing a qualified privilege to defamation. The jury returned a verdict in the remaining coworkers’ favor, finding that either the statements made about Plaintiff were true or that they were not made with malice. The Court of Appeals affirmed the jury’s verdict but reversed the directed verdict, concluding that Employer was entitled to the protection of a qualified privilege but that a plaintiff is only required to present a prima facie defamation case to overcome the qualified privilege and survive a motion for directed verdict. The Supreme Court reversed in part and affirmed in part, holding (1) a plaintiff in a defamation action opposing a directed-verdict motion made by a defendant claiming a qualified privilege must produce some evidence of the defendant’s actual malice to survive a directed verdict; (2) the directed verdict in favor of Employer was appropriate, as Plaintiff failed to prove any degree of malice; and (3) the jury’s verdict was sound.
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