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Discrimination Based on Sexual Orientation and Gender Identity

Discrimination Based on Sexual Orientation and Gender Identity

A. Filing with PAB/OGC:

B. Filing with the Office of Opportunity and Inclusiveness:


1 While sexual orientation and gender identity are not expressly discussed in Title VII, several forums have found that they are protected classes. The EEOC has determined that personnel actions taken based on a person’s sexual orientation or gender identity are “discrimination because of sex in violation of Title VII.” www.eeoc.gov/laws/types/sex.cfmsee also Hively v. Ivy Tech Comm., 853 F.3d 339, 341 (7th Cir. 2017) (Court determined “that discrimination based on sexual orientation is a form of sex discrimination” under Title VII). Other courts, however, have found that sexual orientation is not covered under Title VII. Evans v. Georgia Regional Hospital, 850 F.3d 1248, 1255 (11th Cir. 2017); Christiansen v. Omnicom Group, 852 F.3d 195, 199 (2d Cir. 2017); Dawson v. Bumble & Bumble, 398 F.3d 211, 217-18 (2d Cir. 2005); Simonton v. Runyun, 232 F.3d 33, 36 (2d Cir. 2000).

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