Overview of the Case
According to the EEOC’s lawsuit, a male supervisor made repeated sexual advances towards a female subordinate employee. Furthermore, these advances allegedly escalated into actual sexual assault. Ultimately, the assaults led to a criminal prosecution and conviction against the supervisor. However, despite the supervisor’s illegal conduct and the female employee’s complaint, Konos failed to address the complaint and take sufficient action to end the harassment. Instead, Konos sent the female employee home, in retaliation against her exercising her legal right to file a complaint.Title VII of the Civil Rights Act of 1964 and Harassment
Under Title VII of the Civil Rights Act of 1964 (Title VII), harassment is a type of illegal employment discrimination. Accordingly, the law defines harassment as unwelcome conduct that is based on one or more protected classes, including race, color, religion, sex (including sexual orientation, gender identity, or pregnancy), national origin, age, disability, or genetic information (including family medical history). Markedly, harassment is illegal when:- Enduring the harassment becomes a condition of continued employment, and
- It is severe or pervasive enough to create a work environment that a reasonable person would consider intimidating, hostile, or abusive.
Settlement in the Sexual Harassment and Retaliation Lawsuit
Subsequently, the EEOC filed the sexual harassment and retaliation lawsuit against Konos in the EEOC v. Konos, Inc., Civil Action No. 1:20-CV-00973, the EEOC had attempted to use its conciliation process to reach a pre-litigation settlement. After the EEOC filed the harassment and retaliation lawsuit, the female employee exercised her right to intervene. Accordingly, she filed claims under both Title VII and Michigan’s civil rights law. In addition to the $175,000 in monetary relief, the district court’s three-year consent decree provided for:- injunctive relief,
- training on sexual harassment, and
- regular compliance reporting to the EEOC.