DDeePPaauull LLaaww RReevviieeww Volume 65 Article 6 Issue 4 Summer 2016 WWoorrddss CCaann CCuutt tthhee DDeeeeppeesstt WWoouunnddss:: WWhhyy tthhee FFaammiillyy MMeeddiiccaall LLeeaavvee AAcctt SShhoouulldd BBee AAmmeennddeedd ttoo EExxppaanndd PPrrootteeccttiioonn ffoorr VViiccttiimmss ooff DDoommeessttiicc VViioolleennccee Anastasia M. Sotiropoulos Follow this and additional works at: https://via.library.depaul.edu/law-review Part of the Law Commons RReeccoommmmeennddeedd CCiittaattiioonn Anastasia M. Sotiropoulos, Words Can Cut the Deepest Wounds: Why the Family Medical Leave Act Should Be Amended to Expand Protection for Victims of Domestic Violence, 65 DePaul L. Rev. (2017) Available at: https://via.library.depaul.edu/law-review/vol65/iss4/6 This Comments is brought to you for free and open access by the College of Law at Digital Commons@DePaul. It has been accepted for inclusion in DePaul Law Review by an authorized editor of Digital Commons@DePaul. For more information, please contact [email protected]. \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 1 24-OCT-16 9:58 WORDS CAN CUT THE DEEPEST WOUNDS: WHY THE FAMILY MEDICAL LEAVE ACT SHOULD BE AMENDED TO EXPAND PROTECTION FOR VICTIMS OF DOMESTIC VIOLENCE INTRODUCTION Approximately 42.4 million women in the United States have ex- perienced rape, physical violence, or stalking by an intimate partner in their lifetime.1 Specifically, one in every three women is physically abused by an intimate partner.2 Domestic violence is a widespread problem in our society that affects individuals in communities across the United States.3 The U.S. Office on Violence Against Women de- fines domestic violence as “a pattern of abusive behavior in any rela- tionship that is used by one partner to gain or maintain power and control over another intimate partner.”4 Domestic violence does not discriminate;5 victims of domestic violence are affected regardless of 1. MICHELE C. BLACKETAL., CTRS. FOR DISEASE CONTROL & PREVENTION, NATIONAL INTI- MATEPARTNERAND SEXUAL VIOLENCE SURVEY: 2010 SUMMARY REPORT 39 (2011), http://www .cdc.gov/violenceprevention/pdf/nisvs_report2010-a.pdf; seeRANA SAMPSON, U.S. DEP’TOF JUS- TICE, PROBLEM-ORIENTED GUIDESFOR POLICE PROBLEM-SPECIFIC GUIDES SERIES NO. 45, DO- MESTIC VIOLENCE 5 (Jan. 2007), http://www.popcenter.org/problems/pdfs/domestic_violence.pdf (“The [National Crime Victimization Survey] and other studies have found that women are vic- tims in as much as 85 percent of domestic violence incidents.”); see alsoNAT’L COAL. AGAINST DOMESTIC VIOLENCE, MALE VICTIMSOF VIOLENCE, http://www.reachofmaconcounty.org/data/ documents/Male-Victims-of-Violence-.pdf (last visted Feb. 21, 2016) (“One out of fourteen men [have] been physically assaulted by a current or former spouse, cohabiting partner, boyfriend/ girlfriend or date at some point in their lives.”). In this Comment, I use female pronouns to refer to victims of domestic violence because statistics reflect that the majority of victims are women rather than men. This does not suggest that men are not subjected to domestic abuse. Further- more, in this Comment, I also use male pronouns to refer to the aggressors or perpetrators of domestic violence because statistics reflect that the majority of them are men. 2. BLACKETAL., supra note 1, at 2. R 3. About Domestic Violence, REACH, http://www.reachma.org/what-we-do/about-domestic-vi- olence (last visited Feb. 12, 2016); Violence Against Women: Intimate Partner and Sexual Vio- lence Against Women, WORLD HEALTH ORG., http://www.who.int/mediacentre/factsheets/fs239/ en/ (last updated Jan. 2016) (“Recent global prevalence figures indicate that about 1 in 3 (35%) of women worldwide have experienced either . . . intimate partner violence or non-partner sex- ual violence in their lifetime.”). References to domestic violence in this Comment refer to both domestic and sexual violence. 4. Domestic Violence, U.S. DEP’T JUST., http://www.justice.gov/ovw/domestic-violence (last updated Oct. 6, 2015). 5. Cindy Southworth, Domestic Violence Doesn’t Discriminate, NAT’L NETWORK TO END DO- MESTIC VIOLENCE, http://nnedv.org/getinvolved/dvam/1558-dvam-blog-series-5.html (last visited Feb. 12, 2016). 1361 \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 2 24-OCT-16 9:58 1362 DEPAUL LAW REVIEW [Vol.65:1361 their age, economic status, sexual orientation, gender, race, religion, or national origin.6 Moreover, domestic abuse can result in physical and emotional injury, psychological trauma, and, in some cases, even death.7 The Family and Medical Leave Act of 1993 (FMLA)8 does not cur- rently grant unpaid leave for victims of domestic violence to deal with emotional and psychological abuse. Therefore, women who experi- ence emotional or psychological abuse in the absence of physical abuse are left without recourse. They risk losing their jobs or endur- ing other adverse employment consequences when attempting to ame- liorate their circumstances. Not only are victims of emotional and psychological abuse denied adequate protection under federal law, but, also, their “[abusers] often seek to sabotage their victims’ attempts at economic success” due to the abusers’ need to be in control.9 “The reason for this behav- ior is clear: a person who is employed is more likely to escape control and achieve independence from her abuser.”10 Consequently, victims of domestic violence are prone to suffer from serious health and mental problems that can affect their current job performance and future promotional opportunities.11 The victim is not the only one who is impacted by domestic violence; in fact, domestic violence nega- tively impacts the victim’s workplace. The costs that domestic vio- lence brings to the employment sector is yet another reason to provide more adequate safeguards to victims of domestic violence in hopes that one day these victims will be able to safely leave their abusers. 6. Id.; see Domestic Violence, supra note 4 (“Domestic violence affects people of all socioeco- R nomic backgrounds and education levels. Domestic violence occurs in both opposite-sex and same-sex relationships and can happen to intimate partners who are married, living together, or dating.”); Domestic Violence: Disturbing Facts About Domestic Violence, L.A. POLICE DEP’T [hereinafter Disturbing Facts About Domestic Violence], http://www.lapdonline.org/get_in formed/content_basic_view/8891 (last visited Feb. 21, 2016) (“Women of all races were about equally vulnerable to attacks by intimates. However, women in families with incomes below $10,000 per year were more likely than other women to be violently attacked by an intimate.”). 7. What Is Domestic Violence, NAT’L COAL. AGAINST DOMESTIC VIOLENCE, http://www.ncadv .org/need-help/what-is-domestic-violence (last visited Feb. 12, 2016). 8. Pub. L. No. 103-3, 107 Stat. 6 (codified as amended in scattered sections of 29 U.S.C.). 9. Wendy R. Weiser & Deborah A. Widiss, Employment Protection for Domestic Violence Victims, CLEARINGHOUSE REV. J. POVERTY L. & POL’Y, May–June 2004, at 3, 4, http://www .ncdsv.org/images/crjpp_employmentprotectionfordomesticviolencevictims_may-june2004.pdf. 10. Id. 11. See Roy Maurer, When Domestic Violence Comes to Work: 65 Percent of Employers Don’t Have a Plan for Domestic Violence, SOC’YFOR HUM. RESOURCE MGMT., http://www.shrm.org/ hrdisciplines/safetysecurity/articles/pages/domestic-violence-workplace-nfl-ray-rice.aspx (last vis- ited Feb. 12, 2016). \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 3 24-OCT-16 9:58 2016] VICTIMS OF DOMESTIC VIOLENCE 1363 Many victims who attempt to escape the devastating cycle of abuse are met with obstacles instead of assistance in the workplace.12 Vic- tims need an opportunity to process the physical and mental effects of the abuse, obtain court orders, attend court proceedings, or seek out a safe house to reside. However, the current federal legislation does not provide unpaid leave to address these concerns, and, as a result, many victims face adverse employment consequences, including demotion and unemployment.13 Without the economic security that a job pro- vides, many victims feel that the only option they have is to return to their abusers; thus, the cycle of domestic abuse remains unbroken.14 Although the FMLA permits unpaid leave for victims of domestic violence to address serious health conditions,15 it fails to provide pro- tection for those victims who suffer emotional or psychological abuse in isolation. Emotional and psychological abuse can often be more harmful than physical abuse because it can have a long-lasting impact on the victims’ emotional well-being,16 which is why amending the FMLA is imperative. Because the FMLA fails to provide unpaid leave for victims of do- mestic violence to address these specific needs, a number of state leg- islatures have enacted additional laws to supplement the gaps in the federal act.17 For example, the Illinois legislature adopted a statute that specifically provides protection for victims of emotional and psy- chological abuse.18 The Illinois Victims’ Economic Security and 12. Id. 13. See id. 14. SAMPSON, supra note 1, at 6–7; see Apessos v. Mem’l Press Grp., No.01-1474-A, 2002 WL R 31324115, at *3 (Mass. Super. Ct. Sept. 30, 2002) (reasoning that it goes against public policy for victims of domestic abuse to seek safety at the cost of employment). 15. U.S. DEP’TOF LABOR, FREQUENTLY ASKED QUESTIONSAND ANSWERS ABOUTTHE RE- VISIONSTOTHE FAMILYAND MEDICAL LEAVE ACT 10 (2009) [hereinafter DOL FREQUENTLY ASKED QUESTIONS], http://www.dol.gov/whd/fmla/finalrule/NonMilitaryFAQs.pdf. 16. Types of Domestic Violence, DOORWAYS, http://www.doorwaysva.org/our-work/education- advocacy/the-facts-about-domestic-violence/types-of-domestic-violence/ (last visited Feb. 21, 2016). 17. LEGAL MOMENTUM, STATE LAW GUIDE: EMPLOYMENT RIGHTSFOR VICTIMSOF DOMES- TIC OR SEXUAL VIOLENCE 1–10 [hereinafter STATE LAW GUIDE], http://www.legalmomentum .org/sites/default/files/reports/Employment%20Final%20June%2017%202013%20(2).pdf (last updated July 2013) (outlining the state laws that provide greater protection to victims of domes- tic violence). 18. See id. at 4–5. The Victims’ Economic Security and Safety Act (VESSA) permits eligible employees to take up to twelve workweeks of unpaid leave during a twelve-month period. Id. at 4. See generally 820 ILL. COMP. STAT. 180/20(a)(2) (2014). On the other hand, Colorado and Florida only allow victims of domestic violence to take three days of unpaid leave during a twelve-month period to deal with the aftermath of the abuse. STATE LAW GUIDE, supra note 17, R at 1–2. See COLO. REV. STAT. §24-34-402.7 (2016); FLA. STAT. §741.313 (2016) (permitting victims of domestic violence to take unpaid leave to obtain counseling for the emotional and psychological abuse they endure). \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 4 24-OCT-16 9:58 1364 DEPAUL LAW REVIEW [Vol.65:1361 Safety Act (VESSA)19 permits an employee who is a victim of domes- tic violence to request unpaid leave to address emotional or psycho- logical abuse and to receive legal assistance.20 Unfortunately, states like Illinois that have enacted comprehensive domestic abuse statutes are among the minority.21 As a result, most women in the United States are left without adequate safeguards and, instead, face dire con- sequences (like unemployment) when attempting to ameliorate the ef- fects of the abuse.22 The existing state of affairs is clearly unacceptable given the prevalence of abuse in this country and the need for women to be active participants in the marketplace; thus, more needs to be done. This Comment argues that Congress should amend the FMLA to provide broader protection for victims of domestic violence that would incorporate emotional and psychological abuse rather than tak- ing a state-by-state approach. Victims of emotional and psychological abuse are in desperate need of federal legislation that allows them to improve the consequences of this type of abuse without jeopardizing employment opportunities. Therefore, Congress should adopt broader protections, which would model VESSA, for these victims to decrease lost productivity in the workplace and to provide all victims of domestic violence the protection they deserve. Specifically, this legislation should address how victims can go about seeking unpaid leave to allow for time to find safe housing and deal with the legal ramifications of the abuse.23 Part II of this Comment provides background information regard- ing the nationwide problem of domestic violence, the FMLA, and VESSA.24 Furthermore, Part II also explains the steps required to request leave under the FMLA and VESSA and that the FMLA does not preempt VESSA.25 Lastly, Part II provides an overview on the different types of lawsuits an employee can bring against her em- ployer for violating the FMLA.26 Part III of this Comment analyzes the current deficiencies in the FMLA and argues that mirroring VESSA would provide greater protection for victims of domestic vio- 19. 820 ILL COMP. STAT. 180. 20. Id.; STATE LAW GUIDE, supra note 17, at 4. R 21. Only sixteen states have enacted supplemental statutes to provide greater protection to victims of domestic violence. STATE LAW GUIDE, supra note 17, at 1–10. R 22. Weiser & Widiss, supra note 9, at 4. R 23. SAMPSON, supra note 1, at 30–33. R 24. See infra notes 30–86 and accompanying text. R 25. See infra notes 87–125 and accompanying text. R 26. See infra notes 126–53 and accompanying text. R \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 5 24-OCT-16 9:58 2016] VICTIMS OF DOMESTIC VIOLENCE 1365 lence under the FMLA.27 Part IV of this Comment discusses the im- pact that an amendment to the FMLA would have on victims of domestic violence, the employment sector, and the United States court system.28 Part V concludes that an amendment to the FMLA providing explicit protection for victims to deal with the effects of emotional and psychological abuse would assist in addressing the widespread problem of domestic violence in the United States.29 II. BACKGROUND Domestic violence is considered one of the United States’ most im- portant public health issues.30 U.S. citizens are becoming increasingly more aware of the impact that domestic violence has on a victim’s mental health.31 The enactment of federal legislation that provides victims with the opportunity and the means to address the negative impact of domestic violence on the victim’s mental health is imperative. This Part provides an overview of the nationwide problem of do- mestic violence, the FMLA, and VESSA.32 This Part also explains the required steps to request leave under both the FMLA and VESSA.33 Lastly, this Part discusses the various types of lawsuits an employee can bring against her employer for violating the FMLA.34 A. Domestic Violence: A Nationwide Problem Over 3 million incidents of domestic violence are reported every year in the United States.35 Domestic violence is not always just a one-time incident; rather, it can be a vicious pattern of several differ- ent abusive behaviors used by an individual to exert power and con- trol over another individual.36 The most common abusive behaviors 27. See infra notes 154–250 and accompanying text. R 28. See infra notes 251–308 and accompanying text. R 29. See infra notes 309–18 and accompanying text. R 30. Michele Nealon-Woods, The Realities of Domestic Violence and Its Impact on Our Society, HUFFINGTON POST (Oct. 19, 2015), http://www.huffingtonpost.com/michele-nealonwoods/domes- tic-violence_b_8316888.html. 31. Id. 32. See infra notes 35–111 and accompanying text. R 33. See infra notes 112–25 and accompanying text. R 34. See infra notes 126–51 and accompanying text. R 35. Disturbing Facts About Domestic Violence, supra note 6. R 36. Understanding Abuse: What Is Domestic Violence?, U. MICH., http://stopabuse.umich.edu/ about/understanding.html (last visited Apr. 3, 2016); see also Melinda Smith & Jeanne Segal, Domestic Violence and Abuse: Signs of Abuse and Abusive Relationships, HELPGUIDE.ORG, http://www.helpguide.org/articles/abuse/domestic-violence-and-abuse.htm (last updated Oct. 2015) (providing an example of how domestic violence can lead to a cycle of abuse). \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 6 24-OCT-16 9:58 1366 DEPAUL LAW REVIEW [Vol.65:1361 are: physical abuse, sexual abuse, emotional abuse, and verbal abuse.37 When people hear the words “domestic violence,” they immediately associate that word with physical abuse, the most common type of abusive behavior.38 Every minute in the United States, twenty people are victims of physical violence by an intimate partner.39 And, annu- ally, 1.3 million women are physically assaulted by an intimate part- ner.40 Physical abuse is the use of unwanted physical force against someone in a way that injures that person.41 This type of abuse is easier to recognize because it is difficult to conceal.42 Moreover, phys- ical abuse occurs when the aggressor wants to render the victim pow- erless and desires control within the relationship.43 For example, physical abuse may include kicking, slapping, strangling, or punching the victim.44 In the majority of cases, physical abuse can lead to the victim being hospitalized,45 and, in the worst cases, physical abuse can be deadly.46 For example, strangulation has been identified “as one of After he hits her, he experiences self-directed guilt. He says, “I’m sorry for hurting you.” What he does not say is, “Because I might get caught.” He then rationalizes his behavior by saying that his partner is having an affair with someone. He tells her, “If you weren’t such a worthless whore I wouldn’t have to hit you.” He then acts contrite, reassuring her that he will not hurt her again. He then fantasizes and reflects on past abuse and how he will hurt her again. . . . When she is held up in traffic and is a few minutes late, he feels completely justified in assaulting her because “You’re having an affair with the store clerk.” He has just set her up. Id. (quoting The Cycle of Domestic Violence, CTR. FOR HOPE & SAFETY, http://hopeandsafety .org/learn-more/the-cycle-of-domestic-violence/ (last visited Feb. 22, 2016)). 37. Types of Domestic Violence, supra note 16. R 38. Id. 39. DIGNITY HEALTH, DOMESTIC VIOLENCE IS . . . , http://www.dignityhealth.org/stellent/ groups/public/@xinternet_con_sys/documents/webcontent/sysv2_m146708.pdf (last visited Feb. 13, 2016). 40. PATRICIA TJADEN & NANCY THOENEES, U.S. DEP’T OF JUSTICE, FULL REPORT OF THE PREVALENCE, INCIDENCE, AND CONSEQUENCES OF VIOLENCE AGAINST WOMEN: FINDINGS FROMTHE NATIONAL VIOLENCE AGAINST WOMEN SURVEY26 & exh.9 (Nov. 2000), https://www .ncjrs.gov/pdffiles1/nij/183781.pdf. 41. See Types of Domestic Violence, supra note 16. R 42. Id. 43. Id. 44. Id. 45. Disturbing Facts About Domestic Violence, supra note 6 (“Nearly one-third of the women R who seek care from hospital emergency rooms are there for injuries resulting from domestic violence.”). 46. Kaofeng Lee, Each Day, 3 Women Die Because of Domestic Violence, NAT’L NETWORK TO END DOMESTIC VIOLENCE, http://nnedv.org/getinvolved/dvam/1307-dvam-blog-series-1.html (last visited Feb. 13, 2016) (reporting that “each day, three women die because of domestic violence”); Disturbing Facts About Domestic Violence, supra note 6 (“Every year, 4,000 victims R of domestic violence are killed.”); Types of Domestic Violence, supra note 16. R \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 7 24-OCT-16 9:58 2016] VICTIMS OF DOMESTIC VIOLENCE 1367 the most lethal forms of domestic violence” because “unconsciousness may occur within seconds and death within minutes.”47 Sexual abuse, another form of physical abuse,48 is the coercion of any sexual contact or behavior without consent.49 “Every 2.5 minutes someone in the U.S. is sexually assaulted.”50 This type of abuse may include unwanted kissing, oral sex, rough or violent sexual activity, and rape.51 Approximately one in five women in the United States will be raped in their lifetime.52 Mirroring its physical abuse counter- part, aggressors use sexual abuse to establish control within the rela- tionship.53 Furthermore, victims of sexual assault are three times more likely than other victims to suffer from depression and four times more likely to have suicidal thoughts.54 The use of physical abuse, including sexual abuse, to maintain power and control “is a widely recognized form of domestic violence.”55 Although many consider domestic violence to solely include physi- cal and sexual abuse, which results in bodily injury, victims of domes- tic violence suffer these forms of abuse as well.56 Emotional and psychological abuse can be just as, if not more, harmful as physical abuse because it is more difficult to recognize the malicious, nonphysi- cal acts of emotional and psychological abuse.57 Emotional abuse in- volves the aggressor “[u]ndermining the individual’s sense of . . . self- 47. Gael Strack & Eugene Hyman, Your Patient. My Client. Her Safety: A Physician’s Guide to Avoiding the Courtroom While Helping Victims of Domestic Violence, 11 DEPAUL J. HEALTH CARE L. 33, 59 (2007) (discussing that victims may endure serious internal injuries, which can lead to death days or weeks later because of the underlying brain damage caused by the strangulation). 48. Smith & Segal, supra note 36 (“[P]eople whose partners abuse them physically and sexu- R ally are at a higher risk of being seriously injured or killed.”). 49. Types of Domestic Violence, supra note 16. R 50. YWCA USA, FACT SHEET: SEXUAL ASSAULT 1 [hereinafter FACT SHEET: SEXUAL AS- SAULT], http://www.ywca.org/atf/cf/%7B3b450fa5-108b-4d2e-b3d0-c31487243e6a%7D/FACT_SE XUAL.pdf (last visited Feb. 13, 2016) (citing SHANNAN M. CATALANO, U.S. DEP’TOF JUSTICE, NCJ 214644, NATIONAL CRIME VICTIMIZATION SURVEY: CRIMINAL VICTIMIZATION, 2005, at 2 tbl.1 (2006), http://www.bjs.gov/content/pub/pdf/cv05.pdf). 51. Types of Domestic Violence, supra note 16. R 52. BLACK ET AL., supra note 1, at 1; FACT SHEET: SEXUAL ASSAULT, supra note 50, at 1 R (reporting that one in five women have experienced an attempted or completed rape). 53. Types of Domestic Violence, supra note 16; see alsoFACT SHEET: SEXUAL ASSAULT, supra R note 50, at 1 (“Because rape is one of the most underreported crimes, available data greatly R underestimate the true magnitude of the problem.”). 54. FACT SHEET: SEXUAL ASSAULT, supra note 50, at 2. R 55. SARAH DEWARD, N.Y. STATE COAL. AGAINST DOMESTIC VIOLENCE, THE INTERSECTION OF BRAIN INJURYAND DOMESTIC VIOLENCE 1, http://www.vawnet.org/Assoc_Files_VAWnet/In- tersectionBrainInjuryDV.pdf (last visited Feb. 13, 2016). 56. Types of Domestic Violence, supra note 16. R 57. Id. \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 8 24-OCT-16 9:58 1368 DEPAUL LAW REVIEW [Vol.65:1361 esteem.”58 For example, it frequently includes constant criticism, hu- miliation, name-calling, and, if the woman is a mother, damaging her relationship with her children.59 Similarly, psychological abuse is de- fined as the “systematic perpetration of malicious and explicit non- physical acts against an intimate partner.”60 The aggressor threatens to physically harm the victim or her children, causing fear through the use of intimidation and isolating the victim from her family.61 Psycho- logical abuse often occurs simultaneously with physical or sexual abuse.62 Individuals experiencing emotional and psychological abuse often suffer from the following effects: depression, difficulty concentrating, anxiety, and poor work performance.63 Thus, there is often a strong correlation between victims of abuse and negative employment conse- quences.64 Often, victims of domestic abuse are unable to perform certain essential job requirements, which provides the employer with adequate reasoning to fire the victim or demote her from her current position.65 Accordingly, this Comment primarily focuses on emotional and psy- chological abuse and how these types of abuse should be recognized as a valid basis to grant unpaid leave under the FMLA. B. Federal Protection: The Family and Medical Leave Act Congress enacted the FMLA in 1993 to provide federal protection to accommodate working parents.66 Prior to its adoption, there was a lack of employment practices to accommodate working parents, thus forcing working parents to choose between their careers and raising their children.67 To remedy this problem, Congress enacted the FMLA to assist employees in balancing the demands of the workplace 58. Domestic Violence, supra note 4. R 59. Id. 60. YWCA LAKE CTY., FACT SHEET: PSYCHOLOGICAL ABUSE 1 [hereinafter FACT SHEET: PSYCHOLOGICAL ABUSE], http://www.ywcalakecounty.org/atf/cf/%7B01EC7C8E-E129-43EB-8A 02-FCF1D75907E1%7D/psychological_abuse_wwov.pdf (last visited Feb. 13, 2016). 61. Domestic Violence, supra note4. R 62. FACT SHEET: PSYCHOLOGICAL ABUSE, supra note 60, at 2. Throughout this Comment, the R terms “emotional” and “psychological abuse” are used and do not equate to the same behavior. 63. Id. 64. See WORKPLACES RESPOND TO DOMESTIC & SEXUAL VIOLENCE, THE FACTS ON THE WORKPLACEAND DOMESTIC VIOLENCE 2, http://www.workplacesrespond.org/sites/default/files/ imce/Backup%20of%20The%20Facts%20on%20the%20Workplace%20and%20Domestic%20 Violence%2011-1-12-F.pdf (last visited Feb. 13, 2016). 65. Id. at 2–3. 66. 29 U.S.C. §2601(b) (2012). 67. Id. §2601(a)(3). \\jciprod01\productn\D\DPL\65-4\DPL403.txt unknown Seq: 9 24-OCT-16 9:58 2016] VICTIMS OF DOMESTIC VIOLENCE 1369 with the needs of the family.68 The FMLA sought to “accommodate the legitimate interests of employers . . . [while promoting] equal em- ployment opportunities for [both] men and women.”69 Since its enact- ment, the U.S. Department of Labor (DOL) is the agency that enforces the FMLA.70 The FMLA permits an eligible employee of a covered employer to take unpaid job-protected leave for up to twelve workweeks in a twelve-month period.71 However, “[t]he FMLA only applies to em- ployers that meet certain criteria.”72 Under the FMLA, a covered em- ployer includes: (1) a “[p]rivate-sector employer, with 50 or more employees in 20 or more workweeks in the current or preceding calen- dar year”;73 (2) a public agency (local, state, or federal government) “regardless of the number of employees it employs”;74 and (3) a pub- lic or private elementary school.75 The FMLA defines the term “eligible employee” as an employee who has been employed for: (1) “at least 12 months by the employer with respect to whom leave is requested”; and (2) “at least 1,250 hours of service with such employer during the previous 12-month period.”76 Whether an employee has worked the minimum 1,250 hours of service under the FMLA is determined according to the Fair Labor Standards Act of 193877 principles for determining compensable hours of work.78 Under the FMLA, an eligible employee, who is working for a covered employer, is allowed to take leave for the following reasons: (A) Because of the birth of a son or daughter of the employee and in order to care for such son or daughter. (B) Because of the placement of a son or daughter with the em- ployee for adoption or foster care. 68. 29 C.F.R. §825.101(a) (2015). 69. Family & Medical Leave, U.S. DEP’T LAB., http://www.dol.gov/dol/topic/benefits-leave/ fmla.htm (last visited Feb. 13, 2016). 70. Summary of the Major Laws of the Department of Labor, U.S. DEP’T LAB., http://www.dol .gov/opa/aboutdol/lawsprog.htm (last visited Feb. 13, 2016). 71. 29 U.S.C. §2612(a). 72. U.S. DEP’T OF LABOR, FACT SHEET #28: THE FAMILY AND MEDICAL LEAVE ACT (rev. 2012), http://www.dol.gov/whd/regs/compliance/whdfs28.pdf. 73. Id. 74. Id. 75. Id. 76. 29 U.S.C. §2611(2)(A). 77. Ch. 676, 52 Stat. 1060 (codified as amended at scattered sections of 5, 12, 15, 28, 29, 45, 48, and 49 U.S.C.). 78. U.S. DEP’T OF LABOR, FACT SHEET #22: HOURS WORKED UNDER THE FAIR LABOR STANDARDS ACT (rev. July 2008), http://www.dol.gov/whd/regs/compliance/whdfs22.pdf.
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