Friday, May 03, 2013

First Circuit -- Senra v. Smithfield, RI

Post-termination arbitration satisfied Due Process, as it addressed cause for firing; Constitutional and statutory violations can be beyond the scope of arbitration.

No Due Process right to the stated grievance procedures.

State statutory claims denied.

Special concurrence/ Concurrence in part: State law quibble.

 Senra v. Smithfield, RI 
Compiled by D.E. Frydrychowski, who is, not incidentally, not giving you legal advice.

Category tags above are sporadically maintained Do not rely. Do not rely. Do not rely.

Author's SSRN page here.