Pense v. Maryland Department of Public Safety and Correctional Services

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The Department sought interlocutory review of the district court's decision that the state waived Eleventh Amendment immunity with respect to claims under Maryland's Fair Employment Practices Act (FEPA). The Fourth Circuit exercised its jurisdiction under the collateral order doctrine and held that the state has not waived the protection of the Eleventh Amendment. In this case, the state did not waive its Eleventh Amendment immunity as to plaintiff's FEPA claims through a statutory consent to suit provision in Md. Code. Servs. 20-903. In the absence of the state's express consent to suit in federal court, the Department was entitled to the protection of the Eleventh Amendment with respect to the FEPA claims. View "Pense v. Maryland Department of Public Safety and Correctional Services" on Justia Law