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· 9/18/2018

Melinda Keeling v. Coffee County, Tennessee

Syllabus

After a jury awarded a terminated employee compensatory damages for a county's violation of the Public Employee Political Freedom Act (\PEPFA\), the trial court awarded equitable damages. On appeal, the county argues that the trial court erred in excluding the findings of a neutral committee appointed by the mayor. We find no abuse of discretion in the trial court's decision to exclude the findings as hearsay. As to the county's assertion that the trial court erred in awarding damages related to the employee's termination because the verdict form did not ask the jury to make a finding that her termination resulted from the PEPFA violation, we conclude that the county waived this issue by failing to raise it before the jury returned its verdict. We reject the county's challenges to the amount of back pay awarded to the employee. Furthermore, we find that the trial court did not err in awarding front pay, or in declining to include benefits in the front pay award. The employee asserts that the trial court erred in concluding that she failed to mitigate her damages, and we agree that the county failed to meet its burden of proof on the issue of mitigation of damages. On the sole issue of mitigation of damages, we reverse the trial court's decision.

Judges: Judge Andy D. Bennett

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This is legal information, not legal advice. Laws vary by jurisdiction and change frequently. Always verify current law with official sources and consult a licensed attorney in your jurisdiction for advice on your specific situation.