Husman v. Toyota Motor Credit Corp.

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Plaintiff filed suit against his former employer, Toyota, for discrimination and retaliation in violation of the Fair Employment and Housing Act (FEHA), Gov. Code, 12900 et seq., as well as for wrongful discharge. The trial court granted summary judgment for Toyota. The Court of Appeal reversed and held that plaintiff presented sufficient evidence that a substantial motivating factor for his termination was invidious sex or gender stereotyping related to his sexual orientation (the perception that he was "too gay"). However, the court held that plaintiff failed to raise a triable issue of material fact to support his FEHA retaliation and related common law tort claim. Accordingly, the court remanded for the trial court to enter an order granting Toyota's alternative motion for summary adjudication as to these causes of action. View "Husman v. Toyota Motor Credit Corp." on Justia Law