Nevada Department of Human Resources v. Hibbs

Nevada Department of Human Resources v. Hibbs
Argued January 15, 2003
Decided May 27, 2003
Full case nameNevada Department of Human Resources, et al. v. William Hibbs, et al.
Citations538 U.S. 721 (more)
123 S. Ct. 1972; 155 L. Ed. 2d 953; 2003 U.S. LEXIS 4272; 71 USLW 4375; 84 Empl. Prac. Dec. (CCH) P 41,391; 148 Lab. Cas. (CCH) P 34,704; 8 Wage & Hour Cas.2d (BNA) 1221; 26 NDLR P 35; 03 Cal. Daily Op. Serv. 4388; 2003 Daily Journal D.A.R. 5569; 16 Fla. L. Weekly Fed. S 291
Case history
Prior273 F.3d 844 (9th Cir. 2001), cert. granted, 536 U.S. 938 (2002).
Holding
The Family and Medical Leave Act of 1993 validly abrogated state sovereign immunity.
Court membership
Chief Justice
William Rehnquist
Associate Justices
John P. Stevens · Sandra Day O'Connor
Antonin Scalia · Anthony Kennedy
David Souter · Clarence Thomas
Ruth Bader Ginsburg · Stephen Breyer
Case opinions
MajorityRehnquist, joined by O'Connor, Souter, Ginsburg, Breyer
ConcurrenceSouter, joined by Ginsburg, Breyer
ConcurrenceStevens (in judgment)
DissentScalia
DissentKennedy, joined by Scalia, Thomas
Laws applied
U.S. Const. amends. XI, XIV; Family and Medical Leave Act of 1993, 29 U.S.C. §§ 2601–2654.

Nevada Department of Human Resources v. Hibbs, 538 U.S. 721 (2003), was a United States Supreme Court case which held that the Family and Medical Leave Act of 1993 was "narrowly targeted" at "sex-based overgeneralization" and was thus a "valid exercise of [congressional] power under Section 5 of the Fourteenth Amendment."[1]

  1. ^ Nevada Department of Human Resources v. Hibbs, 538 U.S. 721, 726-27 & n.1 (2003).