Pensions Update: Supreme Court clarifies objective justification test
11 May 2012
In brief
Supreme Court has recently handed down a decision which provides
useful guidance on the test for when direct discrimination on
grounds of age is lawful. This "objective justification"
defence must be based on considerations of wider public policy,
although the employer's aim must also be legitimate given its own
particular circumstances. The means of achieving the aim must
also be proportionate for the defence to succeed.
Most of the practices of occupational pension schemes which are
potentially discriminatory on the grounds of age are expressly
permitted by regulations under the Equality Act 2010. But the
Court's decision is relevant to those practices which are not
covered by the regulations and treat members differently according
to their age. These practices, such as terminating scheme
membership or life cover at a particular age, are lawful only if
objectively justified.
In more detail
The case of Seldon v Clarkson Wright and
Jakes concerned Mr Seldon, a partner in a law firm, who
was compulsorily retired at the end of the year following his 65th
birthday, in accordance with the partnership deed. He claimed
that his compulsory retirement was direct age discrimination and
unlawful.
The Supreme Court confirmed that the approach to justifying direct
age discrimination is not the same as the approach to justifying
indirect age discrimination. When seeking to justify direct
age discrimination, the aims must be based on social policy
objectives. These are of a public interest nature,
distinguishable from purely individual reasons particular to the
employer's situation, such as cost reduction or improving
competitiveness.
In Seldon, the Employment Tribunal identified three
legitimate aims relating to compulsory retirement: (1) ensuring
associates were given the opportunity of partnership after a
reasonable period; (2) facilitating partnership and workforce
planning; and (3) limiting the need to expel underperforming
partners, contributing to the congenial and supportive culture of
the firm. The Court confirmed that these aims fell within the
two kinds of social policy aim already identified by the European
Court of Justice as legitimate: inter-generational fairness (such
as sharing professional employment opportunities fairly between the
generations) and dignity (such as limiting the need to dismiss
underperforming older workers). All three aims were therefore
legitimate.
Once an aim satisfying the social policy test has been identified,
the Court stated that it still has to be asked whether it is
legitimate in the particular circumstances of the employment
concerned. The means chosen of achieving that aim also have
to be proportionate (meaning appropriate and necessary). The
means have to be carefully scrutinised in the context of the
particular business concerned to see whether they meet the aim and
that there are not other, less discriminatory, measures which would
do so.
The Court also confirmed that where it is justified to have a
general rule, the existence of that rule will usually justify the
application of the rule to a particular individual.
Significantly, the Court stated that all businesses will now have
to give careful consideration to what, if any, mandatory retirement
rules can be justified.
The case has now been referred back to the tribunal to apply the
principles identified by the Court to the particular facts of the
case.
The Court's decision is helpful in clarifying what could constitute
a legitimate aim for the purpose of practices which are directly
discriminatory on the grounds of age.
For further information or tailored advice please contact your
usual Field Fisher Waterhouse adviser or one of our pensions partners,
Michael Calvert,
Partner or David Gallagher, Partner.