The U.S. Supreme Court ruled unanimously on Thursday, June 5th, that an Ohio woman’s discrimination lawsuit may proceed, rejecting a lower court requirement for heightened evidence from majority group plaintiffs. The decision in Ames v. Ohio Department of Youth Services clarifies that Title VII of the Civil Rights Act does not impose special burdens on heterosexual or other majority-status complainants.
Marlean Ames filed suit in 2020, alleging she was denied a promotion in favor of a colleague whom she claimed was less qualified and later demoted and replaced by a gay man. She claimed the actions stemmed from her sexual orientation as a straight woman. The Sixth Circuit Court of Appeals dismissed her claim, stating Ames had failed to show the “background circumstances” necessary for a majority group to prove discrimination. The Supreme Court struck down that reasoning in its 9–0 opinion.
Writing for the court, Justice Ketanji Brown Jackson stated, “Title VII’s disparate-treatment provision draws no distinctions between majority-group plaintiffs and minority-group plaintiffs.” She emphasized that Congress “left no room for courts to impose special requirements on majority-group plaintiffs alone.” The court’s opinion focused solely on rejecting the heightened standard and remanded the case for further proceedings. The text of Title VII outlines protections against workplace discrimination based on race, sex, religion, color, and national origin.
The ruling does not resolve the factual disputes in Ames’ complaint. Ohio’s legal counsel argued that Ames was passed over and later demoted due to management decisions unrelated to her sexual orientation. They cited departmental restructuring and concerns about Ames’ professional conduct. However, the court declined to address these defenses, instead stating that lower courts must consider them on remand.
Justice Clarence Thomas, joined by Justice Neil Gorsuch, issued a concurrence agreeing with the judgment and criticizing the lower court’s reliance on what he described as “atextual legal rules.” The ruling was welcomed by legal organizations advocating neutral application of civil rights law. Groups such as the Pacific Legal Foundation supported Ames’ position, arguing that equal legal standards must apply to all individuals.
Meanwhile, civil rights groups, including the NAACP Legal Defense Fund, had defended the Sixth Circuit’s interpretation, warning that removing the heightened threshold could lead to a wave of reverse discrimination lawsuits. Ames’ case will now proceed through federal district court.