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Fifth Circuit Sides With EEOC In Finding Lactation Discrimination Constitutes Title VII Violation

By Lauren Shurman on May 31, 2013
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Last year, we posted about a decision from the Southern District of Texas in which the court ruled that firing a woman because she was lactating or breast-pumping did not amount to sex discrimination under Title VII or the Pregnancy Discrimination Act (PDA).  The Fifth Circuit Court of Appeals recently reversed the district court’s decision.  In a none-too-surprising opinion, the Fifth Circuit ruled that taking an adverse employment action against a woman because she is lactating or expressing breast milk is a cognizable sex discrimination claim because (1) it imposes upon women a burden that male employees do not suffer, and (2) lactation is a medical condition of pregnancy under the PDA. 

Is this earth-shattering news?  Probably not.  To most of us, it probably seems like common sense.  But the opinion likely does represent a significant victory for the EEOC, which now has another tool in its belt to pursue pregnancy discrimination claims.  Employers should be wise to know that pregnancy discrimination claims may now be viable for a longer period of time after childbirth than was the case prior to this ruling.  The district court essentially took the position that a woman does not fall within the protections of the PDA after she gives birth to her child.  Now, under the Fifth Circuit’s ruling, mothers could fall under the protections of PDA for as long as they are breastfeeding. 

The Fifth Circuit was careful to note, however, the Title VII and the PDA do not require employers to provide special accommodations for nursing mothers to pump breast milk.  Title VII and the PDA only prohibit an employer from taking an adverse employment action against a mother for lactating.  Although the Fifth Circuit was careful to note this distinction, employers should remember that under the recent amendments to the FLSA imposed by the Affordable Care Act, employers must provide breaks and a room for nursing mothers to pump.  Nursing mothers who are exempt under the FLSA are not afforded rights to pump in the workplace under either federal statute, but may be covered under applicable state statutes, which are summarized here. 

Photo of Lauren Shurman Lauren Shurman

Lauren Shurman is an associate in the Litigation group. She focuses her practice on general commercial litigation, including intellectual property and employment litigation. Lauren has litigated complex commercial disputes in federal and state courts and in arbitration, and has represented clients in administrative…

Lauren Shurman is an associate in the Litigation group. She focuses her practice on general commercial litigation, including intellectual property and employment litigation. Lauren has litigated complex commercial disputes in federal and state courts and in arbitration, and has represented clients in administrative proceedings before the Utah Labor Commission, the Utah Public Service Commission, the Utah State Tax Commission and the Utah State Board of Education. She has also represented condemning authorities in numerous condemnation actions and disputes involving power lines and electrical utility substations.

Before joining Stoel Rives as an attorney, Lauren was a summer associate in the Salt Lake City office (2004, 2005).

Read more about Lauren ShurmanEmail
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  • Posted in:
    Employment & Labor
  • Blog:
    World of Employment
  • Organization:
    Stoel Rives LLP
  • Article: View Original Source

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