United States Third Circuit

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DiFiore v. CSL Behring, LLC., 16-4297

Affirming that a jury instruction relating to False Claims Act claims of retaliation requiring that protected activity be the 'but for' cause of adverse actions against the plaintiff whistleblower in a case involving a former Director of Marketing who said that her concerns about off-label drug use marketing strategies led to her constructive dismissal..

Appellate Information

  • Argued
  • Submitted
  • Decided
  • Published 2018/01/03

Judges

  • FISHER

Court

  • United States Third Circuit

Counsel


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