Scenario III: Agency, Employment and Torts
Brenda Byars, on her way to a business meeting and in a hurry, stopped at a Radio Shack to pick up a new car charger for her smartphone. There was a long line at one of the checkout counters, but a cashier, Phyllis Richmond, opened another counter and began loading the cash drawer. Byars told Richmond that she was in a hurry and asked Richmond to work faster. Instead, Richmond slowed her pace. At this point, Byars hit Richmond.

It is not clear whether Byars hit Richmond intentionally or, in an attempt to retrieve the car charger, hit her inadvertently. In response, Richmond grabbed Byars by the hair and hit her repeatedly in the back of the head, while Byars screamed for help. Management personnel separated the two women and questioned them about the incident. Richmond was terminated immediately for violating the stores no-fighting policy. Byars sued Radio Shack, alleging that the store was liable for the tort (assault and battery) committed by its employee.

Under what doctrine might Radio Shack be held liable for the tort committed by Richmond?
What is the key factor in determining whether Radio Shack is liable under this doctrine?
How is Radio Shacks potential liability affected by whether Richmonds behavior constituted an intentional tort or a tort of negligence?
Suppose that when Richmond applied for the job at Radio Shack, she disclosed in her application that she had previously been convicted of felony assault and battery. Nevertheless, Radio Shack hired Richmond as a cashier. How might this fact affect Radio Shacks liability for Richmonds actions?

Sample Answer

Sample Answer

 

 

Liability Analysis: Brenda Byars vs. Radio Shack

Introduction

This analysis addresses the legal implications of an incident involving Brenda Byars and cashier Phyllis Richmond at a Radio Shack store. Byars, in a hurry to attend a business meeting, had a confrontation with Richmond that escalated into physical violence. The focus of this analysis will be on the potential liability of Radio Shack for the torts committed by Richmond, specifically under the doctrine of vicarious liability.

Doctrine of Vicarious Liability

Radio Shack may be held liable for the torts committed by Richmond under the doctrine of vicarious liability. Vicarious liability holds an employer responsible for the negligent or wrongful acts of its employees when those acts occur in the course of their employment.

Key Factors for Vicarious Liability

The key factor in determining whether Radio Shack is liable under the doctrine of vicarious liability is whether Richmond’s actions were performed within the scope of her employment. Courts will typically consider:

1. Nature of Employment: Whether the employee was acting in furtherance of the employer’s interests at the time of the incident.
2. Work-Related Action: Whether the conduct occurred during work hours and in a location where the employee was expected to perform duties.

In this scenario, Richmond was working as a cashier at Radio Shack when the incident occurred, which suggests that she was within the scope of her employment. However, her actions of physically retaliating against Byars raise questions about whether this behavior was within the scope of what is considered acceptable conduct for an employee in her position.

Intentional Tort vs. Negligence

The potential liability for Radio Shack is also affected by whether Richmond’s behavior constituted an intentional tort or a tort of negligence:

1. Intentional Tort: If Richmond’s actions are deemed intentional (i.e., she hit Byars intentionally), Radio Shack may still be held vicariously liable if the conduct occurred during her employment and was in some way connected to her role as an employee. However, employers can argue that intentional acts fall outside the scope of employment, potentially limiting their liability.

2. Negligence: If Richmond’s actions could be classified as negligent (e.g., if the fight was an unintentional reaction to Byars hitting her), Radio Shack would likely be held liable because negligent acts committed during the course of employment generally fall under vicarious liability.

In this case, since it is unclear whether Richmond’s response was intentional or negligent, this ambiguity could lead to further legal analysis and investigation.

Prior Conviction and Its Impact on Liability

If Richmond disclosed her prior felony assault and battery conviction on her job application, this fact could significantly impact Radio Shack’s liability:

1. Foreseeability: If Radio Shack hired Richmond despite knowing her history, it may be argued that they were aware of the risk associated with her employment. This could support claims that Radio Shack was negligent in hiring her, particularly if they failed to conduct a thorough background check or evaluate her fitness for a position that involved customer interaction.

2. Negligent Hiring: If it can be shown that Radio Shack failed to take appropriate steps to ensure that they hired a safe employee or did not adequately assess the implications of hiring someone with a history of violent behavior, they could be found liable for negligent hiring practices. This would entail showing that Richmond’s prior conviction directly relates to her actions during the incident.

3. Impact on Defense: Moreover, if Richmond’s conviction was known to management at Radio Shack and they proceeded with the hiring despite this knowledge, it could weaken any defense they might have against claims of vicarious liability.

Conclusion

In summary, Radio Shack may be held liable for the torts committed by Phyllis Richmond under the doctrine of vicarious liability if it can be established that her actions occurred within the scope of her employment. The determination of whether Richmond’s actions were intentional or negligent will significantly influence Radio Shack’s potential liability. Additionally, hiring someone with a prior conviction for assault raises serious questions about negligent hiring practices, further complicating Radio Shack’s defense in this case. The interplay between these factors will ultimately shape the outcome of Brenda Byars’ lawsuit against Radio Shack.

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