Third Circuit reverses NLRB over facetious tweet

As noted in a previous post, the NLRB earlier held a company liable for its CEO’s personal tweet intended as an obvious joke. The NLRB had viewed as irrelevant the CEO’s and even the employees’ statements that the tweet was meant as a joke. On appeal, the Third Circuit, considering the CEO’s First Amendment rights, reversed the NLRB holding there was no evidence to support its finding that the tweet could have been interpreted as a threat by a reasonable employee, especially where two employees said they took it as a joke and the comment was made without any actual threatening action having been taken and without any history of labor-management tension.

For starters, FDRLST Media is a tiny media company. Its six employees (not including Domenech) are writers and editors. The tweet’s suggestion that these employees might be sent “back” to work in a “salt mine” is farcical. The image evoked—that of writers tapping away on laptops in dimly-lit mineshafts alongside salt deposits and workers swinging pickaxes—is as bizarre as it is comical. So from the words of the tweet alone, we cannot conclude that a reasonable FDRLST Media employee would view Domenech’s tweet as a
plausible threat of reprisal.

. . .

The National Labor Relations Act grants the National Labor Relations Board vast authority to investigate charges of unfair labor practices, even when charges are filed by parties who are not personally aggrieved by the alleged practice. But the Board’s authority to find an unfair labor practice is not unlimited. Here, the Board spent its resources investigating an online media company with seven employees because of a facetious and sarcastic tweet by the company’s executive officer. Because the Board lost the forest for the trees by failing to consider the tweet in context, it misconstrued a facetious remark as a true threat. We will accordingly grant FDRLST
Media’s petition, set aside the Board’s order, and deny the Board’s petition for enforcement.

0 replies

Leave a Reply

Want to join the discussion?
Feel free to contribute!

Leave a Reply

Your email address will not be published. Required fields are marked *