Vazquez-Rivera v. Figueroa

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Plaintiff filed a complaint against his employer, the U.S. Army, alleging that his direct supervisor harassed and discriminated against him on account of his disability. The Army dismissed the complaint as untimely, and the Equal Employment Opportunity Commission (EEOC) affirmed. Plaintiff subsequently filed a complaint with the district court, asserting discrimination, hostile work environment, and retaliation claims. The district court construed these claims as claims brought pursuant to the Rehabilitation Act. The district court found that Plaintiff’s administrative complaint was untimely filed and ordered that Plaintiff’s claimed be dismissed because Plaintiff failed to exhaust his administrative remedies and did not qualify for equitable tolling. The First Circuit affirmed the dismissal of Plaintiff’s claims, holding that the district court correctly found that Plaintiff’s administrative filing was untimely and did not abuse its discretion when it denied Plaintiff’s request for equitable tolling on the insufficiently supported basis of mental illness. View "Vazquez-Rivera v. Figueroa" on Justia Law