Merrick v. Hilton Worldwide, Inc.

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The Ninth Circuit affirmed the district court's grant of summary judgment for Hilton on plaintiff's age discrimination claims. Plaintiff was 60 years old when he was terminated from his position as part of a reduction-in-workforce (RIF) in 2012. Applying the McDonnell Douglass test, the panel held that plaintiff satisfied the elements for establishing a prima facie case of discrimination; Hilton produced evidence showing that it acted for a legitimate, nondiscriminatory reason; and plaintiff failed to introduce sufficient evidence to raise a genuine issue of material fact as to whether the reasons Hilton articulated were pretexts for age discrimination. The panel considered the context of this case, including Hilton's lost profits during the economic downturn, a series of layoffs, the overall age of the workforce, the fact that plaintiff survived previous RIFs, and the business reasons for selecting his position for elimination. Consequently, plaintiff's remaining claims also failed. View "Merrick v. Hilton Worldwide, Inc." on Justia Law