Summary
self-serving testimony is subject to especially searching scrutiny
Summary of this case from Kelley v. Price-Macemon, Inc.Opinion
No. 83-1470.
May 29, 1984.
ORDERS
C.A. 3d Cir. Certiorari denied. Reported below: 720 F. 2d 772.
self-serving testimony is subject to especially searching scrutiny
Summary of this case from Kelley v. Price-Macemon, Inc.No. 83-1470.
May 29, 1984.
C.A. 3d Cir. Certiorari denied. Reported below: 720 F. 2d 772.
self-serving testimony is subject to especially searching scrutiny
Summary of this case from Kelley v. Price-Macemon, Inc.noting that "generalized testimony by an employee regarding his subjective belief that his discharge was the result of age discrimination is insufficient"
Summary of this case from Mitchell v. Beaumont Independent School Districtfollowing Ricks
Summary of this case from Smith v. St. Regis Corp.Full title:MID-SOUTH GRIZZLIES et al. v. NATIONAL FOOTBALL LEAGUE
Court:U.S.
Date published: May 29, 1984
It is well established that conclusory statements and subjective beliefs that an employer's actions are based…
White v. TaylorId. The Court of Appeals for the Fifth Circuit has held that to support a Section 1983 cause of action for…