Litigants: | Bazemore v. Friday |
Arguedate: | April 22 |
Argueyear: | 1986 |
Decidedate: | July 1 |
Decideyear: | 1986 |
Usvol: | 478 |
Uspage: | 385 |
Percuriam: | yes |
Bazemore v. Friday, 478 U.S. 385 (1986), is a United States Supreme Court case in which the Court held that a regression analysis does not have to account for every possible factor that could influence salary in order to be considered as evidence of discrimination.[1] [2]
The case of Bazemore v. Friday originated from a lawsuit filed by black employees of the North Carolina Agricultural Extension Service, a public agency providing agricultural education and services.[3] The plaintiffs alleged that the agency was practicing racial discrimination in its salary decisions, violating Title VII of the Civil Rights Act of 1964. The agency had previously operated separate programs for black and white employees, and although it had integrated the programs, it continued to pay the black employees less than their white counterparts.
The District Court and the Fourth Circuit Court of Appeals initially ruled in favor of the defendant, stating that the plaintiffs had failed to prove that the salary disparities were due to racial discrimination. The courts argued that the plaintiffs' regression analysis, which was used to demonstrate the wage gap, was insufficient because it did not account for all possible factors influencing salary.
The case was then appealed to the Supreme Court. In a unanimous decision, the Court reversed the lower courts' rulings. The Court held that a regression analysis does not need to include every conceivable variable to be admissible as evidence of discrimination. The Court stated that the plaintiffs had met their burden of proof by showing a significant disparity in pay between black and white employees, and that the defendant had failed to provide a non-discriminatory explanation for this disparity.
Justice Brennan delivered the opinion of the Court.
The decision in Bazemore v. Friday has had a significant impact on employment discrimination lawsuits. It has clarified the standards for statistical evidence in such cases, making it easier for plaintiffs to prove discrimination.[4] [5] The case has been cited in numerous subsequent court decisions and has influenced the development of employment law in the United States.[6]