State ex rel. Johnston v. North Olmsted City School District Board of Education
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Emily Johnston began teaching in the North Olmsted City School District in the 2018-2019 school year. Initially, the school board offered her a salary based on ten years of teaching experience, but before she signed the contract, they recalculated it based on six years of experience. Johnston signed the contract with the lower salary. She did not file a grievance under the collective-bargaining agreement (CBA) and later sought a writ of mandamus for the higher salary and backpay.
The Eighth District Court of Appeals dismissed Johnston’s complaint, reasoning that she had an adequate remedy through the CBA’s grievance procedure. Johnston argued that the grievance procedure was inadequate because it did not allow for backpay and that she could not use it until her contract was signed. The court found that she had ample opportunity to file a grievance from her first paycheck and that her failure to do so did not make the remedy inadequate.
The Supreme Court of Ohio affirmed the Eighth District’s decision. The court held that Johnston had an adequate remedy in the ordinary course of law through the CBA’s grievance procedure, which she failed to utilize. The court also rejected Johnston’s argument that her claim was purely statutory and not subject to the CBA, noting that the CBA implemented the board’s authority under relevant statutes and addressed salary-schedule placement. Therefore, Johnston’s claim was governed by the CBA, and her failure to file a grievance precluded mandamus relief.
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