Stagg vs. Vintage Place Inc.
Annotate this CaseRespondent Ronald Stagg was discharged from employment by Respondent Vintage Place, Inc. for excessive absenteeism and tardiness. Stagg applied for unemployment benefits. An unemployment law judge (ULJ) determined that Stagg was ineligible for benefits because he was discharged for employment misconduct as defined by state law. On appeal, the appellate court reversed the ULJ, holding that Vintage Place failed to follow its own disciplinary policies when it terminated Stagg. Stagg argued that he relied on the employee manual, which defined Vintage Place's formal discipline procedures. Because he had not received a ten-day suspension--the last disciplinary step short of termination under Vintage Place's policy--Stagg did not understand his job was at risk for termination. The appellate court held that Stagg could have reasonably expected Vintage Place to follow its own disciplinary policy, and that Stagg's absenteeism did not amount to denial of unemployment benefits. Given the record presented, the Supreme Court disagreed with the lower court's ruling, reversing it and reinstating the ULJ's decision.
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