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Case Studies of Age Discrimination in Job Ads Case studies illustrating how job advertisements violate age discrimination laws can be helpful in avoiding legal liability when creating a job ad.
The following case studies demonstrate how the federal Equal Employment Opportunity Commission (EEOC) determines if a job ad is discriminatory against individuals who are at least 40.
Case Study 1
Steve, a 67yearold man, saw an ad in the newspaper for a cashier at Groceries and More. Their advertisement specified that:
"Applicant must be young and energetic and possess excellent customer relations skills. Applicants who are selected would be required to stand for long periods of time and to lift 2535 pounds."
Steve contacted the EEOC to institute a charge against Groceries and More.
In this case, the EEOC would find a violation. By use of the word "young," the ad specifically indicates a preference, limitation, specification, or discrimination based on age. Such an ad would almost certainly deter many qualified older persons from applying.
Note that if the same ad appeared with only the word "young" deleted, it would probably be acceptable. Persons of all ages can be energetic and possess excellent customer relations skills. Further, the requirements to stand for long periods and to lift 2535 pounds are not agerelated criteria and, in any event, appear to be legitimate requirements for the job in question.
Case Study 2
Curtis, a 57yearold graphic artist, claims that SellIt Inc., an advertising firm, has discriminated against him based on age by publishing an advertisement that he feels clearly deters older persons from applying. SellIt's ad stated:
"Youngthinking, 'new wave' progressive advertising firm has openings for entrylevel position for graphic artist with no more than four years' experience. We specialize in music videos and broadcast productions for a youthful audience. Our main focus is in the area of animation. Our clients include famous pop and rap stars. If you have fresh, innovative ideas and can relate to our audience, send your resume."
While the ad does not contain explicit age limitations, read in its entirety, it does appear that persons in the protected age group would be discouraged from applying for the position. SellIt contends that it does not discriminate against older persons and would hire a 70yearold applicant if he or she is qualified and willing to work for an entrylevel salary.
However, on further investigation it was found that SellIt has no employees over 25 years of age. It was also revealed that SellIt recently turned down two fully qualified graphic artists, ages 54 and 61, who were willing to work at an entrylevel salary, even though both possessed more than four years of experience.
In this context, the EEOC would probably take the position that the ad is designed to deter older persons from applying. The EEOC would seek to have SellIt change the ad to read:
"...youngthinking persons of any age with at least four years' experience and willing to work at an entrylevel salary."
Case Study 3
Matty, a 45yearold woman who is actively seeking parttime employment, contends that she was deterred from applying for a position because of the employer's ad. Clean Clothes, a local laundromat, advertised in the newspaper as follows:
"Opening for a person seeking to supplement pension. Parttime position available for Laundromat Attendant from 8:00 a.m.1:00 p.m., SaturdayWednesday. Responsibilities include dispensing products sold on premises, maintaining washer, dryer, and vending machines. Retired persons preferred."
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This ad limits the applicant pool by indicating a preference based on age. Persons rarely receive pensions or attain retirement status before 55 and frequently not until age 65. Thus, the ad deters younger persons within the protected age group (i.e., persons over 40 but less than 65) from applying. Therefore, it is a violation.
Case Study 4
In response to a labor shortage that exists throughout the southeast region of the country, The DoItYourself Shop, a large homeimprovement chain, publishes the following advertisement:
"Wanted: Individuals of all ages. Day and evening hours available. Fulltime and parttime positions. All inquiries welcomed. Excellent secondary source of income for retirees."
While the ad mentions "retirees," it is not an illegal agebased discriminatory advertising practice in this instance. Individuals of all ages are welcomed for the employment opportunity. The reference to retirees in the ad does not indicate a preference for this subgrouping of the protected age group. Rather, it notifies them of an opportunity and invites them to participate. The language in this ad differs from the language used in Case Study 3, which suggests that only retired, pensioneligible persons are considered for employment.
Case Study 5