Tribunal orders targeted equity training and requires complainant to disclose medical records if relying on psychological evidence.
In a remedy decision following a finding of racial discrimination regarding a school transfer, the Tribunal declined to order broad systemic remedies but ordered the school board to develop learning materials based on the case for its equity training.
The Tribunal also ruled that if the complainant wishes to rely on psychological evidence to support his claim for $80,000 in general damages, he must disclose his complete medical records to the respondent.
The Tribunal confirmed it lacks jurisdiction to award legal expenses.
Andrew Persaud v. Toronto District School Board, 2010 HRTO 1084