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Employment
Law Development
Dec. 2001
Supreme
Court Rejects Attempt To Expand The Scope Of The Americans With
Disabilities Act
By: Niccolo
N. Donzella, Esquire
DEFINING
DISABILITY.
An employee is assigned to a work unit that performs four basic
manual tasks. She has a physical condition that restricts her from
performing one of the unit's tasks, but not the others. She asks
to be excused from that task. Does a job-specific physical limitation
qualify as a disability under the Americans with Disabilities Act
(the "ADA") and entitle her to be excused? The answer, according
to a unanimous Supreme Court in Toyota v. Williams (2002), is no.
In order to be considered disabled under the ADA, she must have
a physical condition that restricts her from performing far more
general tasks than those associated with a specific job - she must
be limited in the tasks that most people need in their daily lives,
like grooming or cleaning. By rejecting the notion of a job-specific
disability, the Court prevented employees from using the ADA to
pick and choose among available positions, thus greatly reducing
the number of people able to claim an ADA disability. THE
FACTS OF THE CASE.
Ella Williams was a Toyota assembly line worker. After developing
carpal tunnel and tendinitis, her physician placed her on permanent
work restrictions. As a result, Toyota transferred her to its quality
control unit, which was responsible for four tasks:
(1) first paint inspection,
(2) second paint inspection,
(3) body inspection, and
(4) repair of surface defects.
For two years, Williams was assigned to perform only the two paint
inspection tasks. The first involved a visual paint inspection;
the second required her to wipe each car as it passed with a gloved
hand. Then Toyota decided to have all employees in the unit rotate
through all four tasks.
The body inspection task required Williams to apply a light coat
of oil on cars moving through the line and inspect them for dents,
scratches, and other defects. But applying the oil required her
to extend her arms and wrists at shoulder height, which caused her
to experience neck and shoulder pain.
As an accommodation, she asked to be excused from the rotation requirement
and to go back to doing only the first and second paint inspection
tasks. According to Williams, Toyota refused her request.
According to Toyota, Williams began missing a lot of work. In any
case, she was fired. Williams filed suit claiming that she was disabled
in the performance of manual tasks and that Toyota had violated
the ADA by refusing to change her job assignment.
The trial court dismissed her suit, finding that she was not disabled
in the performance of manual tasks, as she could perform two of
the work unit's four tasks and could tend to her personal hygiene
and carry out personal and household chores.
Williams appealed to the Sixth Circuit, which reversed the trial
court, finding that the proper focus was not on what manual tasks
Williams could perform generally, but on whether she could do the
specific tasks required by the oiled surface inspection. Toyota
then appealed to the Supreme Court.
THE ISSUE.
The issue raised by the Sixth Circuit's decision was a fundamental
one. Should the focus of a disability determination be limited to
what the employee can or cannot do at work, or should it be broader
than that, taking into account what he or she can do at home, as
well?
THE SUPREME COURT'S DECISION AND WHY IT IS
IMPORTANT FOR EMPLOYERS.
In a unanimous decision authored by Justice Sandra Day O'Connor,
the Supreme Court reversed the Sixth Circuit, holding that when
a court is called upon to determine the existence of a disability
under the ADA, "the central inquiry must be whether the claimant
is unable to perform the variety of tasks central to most people's
daily lives, not whether the claimant is unable to perform the tasks
associated with her specific job." Thus, the Court ruled, it was
error for the Sixth Circuit to ignore evidence that Williams was
able to tend to her personal hygiene and carry out personal and
household chores, as these are the kinds of manual tasks that most
people need to perform in their daily lives. This decision is very
important for employers. As the Court noted, accepting the Sixth
Circuit's notion of job-specific disabilities would greatly expand
the number of people who could claim disability under the ADA, far
more than Congress intended.
When is an employee who performs manual labor considered disabled
for purposes of the Americans with Disabilities Act (the "ADA")?
Is it when the employee is unable to perform manual tasks that are
central to the daily lives of most people, or is it simply when
the employee is unable to perform the specific manual tasks needed
to perform a specific job. In one of its most important ADA decisions
for employers in recent years, a unanimous Supreme Court rejected
the latter and held to the former.
Facts of the Case.
The employee in this case was a Kentucky assembly line worker in
a Toyota plan, whose duties included working with pneumatic tools.
Apparently through use of the tools, she developed carpal tunnel
and tendinitis, and her physician placed her on permanent work restrictions
precluding her from lifting more than 20 pounds, frequently carrying
or lifting things weighing more than 10 pounds, performing overhead
work, and engaging in repetitive flexing and bending of her wrists
and elbows.
As a result, her employer gave her modified duties, but she nonetheless
sued. The parties settled the suit by transferring her to a quality
inspection unit, which was responsible for four tasks: (1) first
pain inspection, (2) second paint inspection, (3) body inspection,
and (4) repair of surface defects.
For two years, the employee was asked only to perform the two paint
inspection tasks. The first involved a visual paint inspection,
initially with the opening and closing of doors but later without
such tasks. The second required her to wipe each car as it passed
with a gloved hand. But then, the employer determined to have all
employees in the unit rotate through all four tasks. The body inspection
task required the employee to apply a light coat of oil on cars
moving through the line and inspect them for dents, scratches, and
other defects. However, applying the oil required her to expend
her arms and wrists at shoulder height, which caused her to experience
neck and shoulder pain. As an accommodation, she asked to be excused
from the rotation requirement and to go back to doing only the first
and second paint inspection tasks.
According to the employee, the employer refused her request.
According to the employer, the employee started missing a great
deal of work. In any case, she was fired and she filed suit claiming
a violation of the ADA.
The Decisions of the Lower Courts
The trial court dismissed the case after finding that the employee
was not disabled within the meaning of the ADA. The trial court's
reasoning was that, while she did have a physical condition that
limited her ability to perform certain manual tasks, her condition
did not substantially limit a "major life activity," as required
by the ADA. That is, she seemed to have a physical condition that
allowed her to perform two of the inspection unit's responsibilities,
but not the rest. The employee appealed this decision to the Sixth
Circuit, which agreed with her. The Sixth Circuit determined that
an employee is "disabled" when he or she cannot perform "a 'class'
of manual activities affecting the ability to perform tasks at work."
The issue raised by the Sixth Circuit's decision was a fundamental
one. Should the focus of a disability determination be limited to
what the employee can or cannot do at work, or should it be broader
than that, taking into account what he or she can do at home, as
well? From the perspective of employers, limiting this analysis
to work would permit employees to avoid particular work assignments
by claiming that they are unable to perform the specific manual
tasks needed to do that job, regardless of whether the condition
prevented them from doing other jobs at work or tasks at home.
The Supreme Court's Decision and Why It Is Important
In a unanimous decision authored by Justice Sandra Day O'Connor,
the Supreme Court reversed the Sixth Circuit, holding that when
a court is called upon to determine whether a physical condition
that limits the performance of manual tasks constitutes a disability
under he ADA, "the central inquiry must be whether the claimant
is unable to perform the variety of tasks central to most people's
daily lives, not whether the claimant is unable to perform the tasks
associated with her specific job." In doing so, the Court noted
that this particular employee was able to tend to her personal hygiene
and carry out personal and household chores, which indicated that
she was not substantially limited with respect to the mkinds of
manual tasks that most people need to perform in their daily lives.
This decision is important in that it prevents employees from claiming
entitlement to accommodation based on a "selective" inability to
perform the manual tasks associated with a particular job. To hold
otherwise, as the Court noted, would greatly expand the number of
people who could claim disability under the ADA, far more, the Court
noted, than Congress had ever intended.
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