Zarda v. Altitude Express

The Second Circuit granted rehearing en banc after a panel of three judges ruled that Title VII’s prohibition on “sex discrimination” does not encompass “sexual orientation discrimination.” The Center filed an amicus brief urging the Second Circuit not to re-define “sex discrimination” in Title VII and explaining why “sex discrimination” does not include “sexual orientation discrimination.” Oral argument was heard September 26 and is available here (click on case number 15-3775).