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Reaney v Hereford Diocesan Board of Finance

Cardiff Employment Tribunal, July 2007 Employment – discrimination – sexual orientation

Published online by Cambridge University Press:  03 December 2007

Justin Gau
Affiliation:
Barrister, Deputy Chancellor of the Diocese of Lincoln
Ruth Arlow
Affiliation:
Barrister, Deputy Chancellor of the Diocese of Chichester
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Abstract

Type
Case Notes
Copyright
Copyright © Ecclesiastical Law Society 2008

The claimant applied for the post of Diocesan Youth Officer, was short-listed and interviewed for the post. In his application and in the interview, he disclosed that he was homosexual and had been in a same-gender relationship, which had recently ended, and that he did not intend to enter into a fresh one. He was unanimously selected as the best candidate for the post ‘by a long way’ and he was told that he would be recommended for the post, subject to the bishop's approval. The bishop made it clear to the panel that he considered the claimant's lifestyle a serious impediment to the post. The bishop interviewed the claimant. During the interview, the claimant assured the bishop that he would remain celibate, but if he were to meet someone he would speak to the bishop. The interview continued in relation to issues of human sexuality. The bishop was concerned about the claimant's attitude being affected by the raw emotion of the end of his relationship and his inconsistent attitude towards celibacy. The claimant was not offered the post. The claimant claimed he had been harassed and discriminated against. The claimant argued that sexual orientation was a private matter, that the bishop's interview was inappropriate and psychologically damaging and that, accordingly, this was a case of clear discrimination and that regulation 7(3) of the Employment Equality (Sexual Orientation) Regulations 2003 was raised. If the section applied, then discrimination had been proved, as the post does not ‘promote religion’. The respondent argued that the claimant had raised the issue of sexuality, not the bishop, that the questioning was appropriate, that the post did promote and represent religion and that the concern expressed by the bishop about the claimant's emotional rawness was reasonable. The tribunal rejected the claim for harassment. In relation to the issue of discrimination, the tribunal stated that the regulations do not make a distinction between the mere fact of being gay and expressing that sexual orientation in behaviour. Accordingly the tribunal considered the question whether the claimant would have been treated as he was but for his sexual orientation. The answer was ‘no’. The claimant would not have been required to convince the bishop of his future intentions to the sort of standard that the bishop required, had he not disclosed his sexual orientation. The bishop had therefore discriminated directly against the claimant. The tribunal also accepted that there had been indirect discrimination, in that the claimant had to be celibate, a criterion that would not apply to persons not of the same sexual orientation. The tribunal considered that the post would primarily be to represent the diocese, not to be engaged in actual youth work, but the tribunal concluded that the job was one of the few posts outside the clergy that fell within regulation 7(3) of the Regulations, thus regulation 7(3)(b)(ii) would be satisfied. They concluded that the attitude of the claimant in assuring the bishop of his intention to be celibate was appropriate and that the bishop's concern for his future behaviour was untenable (bearing in mind that the bishop had not concluded that the claimant's answers were untruthful). Accordingly, the statutory defence to discrimination under regulation 7(3) was not made out. [JG]