Price Waterhouse v. Hopkins

Price Waterhouse v. Hopkins
Argued October 31, 1988
Decided May 1, 1989
Full case namePrice Waterhouse v. Ann B. Hopkins
Citations490 U.S. 228 (more)
109 S. Ct. 1775; 104 L. Ed. 2d 268; 1989 U.S. LEXIS 2230; 57 U.S.L.W. 4469; 49 Fair Empl. Prac. Cas. (BNA) 954; 49 Empl. Prac. Dec. (CCH) ¶ 38,936
Case history
PriorJudgment for plaintiff, 618 F. Supp. 1109 (D.D.C. 1985);
Affirmed, 263 U.S. App. D.C. 321, 825 F.2d 458 (1987)
Holding
Once a Title VII plaintiff proves that gender played a motivating part in an employment decision, the defendant can only avoid a finding of liability by proving by a preponderance of the evidence that it would have made the same decision regardless of the plaintiff's gender.
Court membership
Chief Justice
William Rehnquist
Associate Justices
William J. Brennan Jr. · Byron White
Thurgood Marshall · Harry Blackmun
John P. Stevens · Sandra Day O'Connor
Antonin Scalia · Anthony Kennedy
Case opinions
PluralityBrennan, joined by Marshall, Blackmun, Stevens
ConcurrenceWhite (in judgment)
ConcurrenceO'Connor (in judgment)
DissentKennedy, joined by Rehnquist, Scalia
Laws applied
Title VII of the Civil Rights Act of 1964

Price Waterhouse v. Hopkins, 490 U.S. 228 (1989), was a landmark decision of the US Supreme Court on the issues of prescriptive sex discrimination and employer liability for sex discrimination. The employee, Ann Hopkins, sued her former employer, the accounting firm Price Waterhouse. She argued that the firm denied her partnership because she did not fit the partners' idea of what a female employee should look and act like. The employer failed to prove that it would have denied her partnership anyway, and the Court held that constituted sex discrimination under Title VII of the Civil Rights Act of 1964.

The ruling established that gender stereotyping is actionable as sex discrimination. Furthermore, it established the mixed-motive framework that enables employees to prove discrimination when other, lawful reasons for the adverse employment action exist alongside discriminatory motivations or reasons.[1]

  1. ^ Goldstein, Leslie. "Gender Stereotyping and the Workplace: Price Waterhouse v. Hopkins (1989)." 2006. The Constitutional and Legal Rights of Women, 3rd ed. Los Angeles: Roxbury, 2006. 167-75. Print.