Summary
finding non-discharged plaintiff's state law claims not preempted under section 301
Summary of this case from Carlson v. Arrowhead Concrete Works, Inc.Opinion
No. 98-1271WM
Submitted: November 17, 1998
Filed: December 23, 1998
finding non-discharged plaintiff's state law claims not preempted under section 301
Summary of this case from Carlson v. Arrowhead Concrete Works, Inc.No. 98-1271WM
Submitted: November 17, 1998
Filed: December 23, 1998
finding non-discharged plaintiff's state law claims not preempted under section 301
Summary of this case from Carlson v. Arrowhead Concrete Works, Inc.remanding case after determining that state law claims were not preempted by section 301
Summary of this case from Carlson v. Arrowhead Concrete Works, Inc.Full title:Kevin B. Paige, Appellant, v. United States of America, Appellee
Court:United States Court of Appeals, Eighth Circuit
Date published: Dec 23, 1998
Establishing a claim for retaliation under either the Whistleblower Act or MOSHA only requires an analysis of…