Universal Camera Corp. V. NLRB
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''Universal Camera Corp. v. NLRB'', 340 U.S. 474 (1951), was a United States Supreme Court case which held that a court will defer to a federal agency's findings of fact if supported by "substantial evidence on the record considered as a whole.". ''Universal Camera'' added another qualification to the substantial evidence test laid down in '' Consolidated Edison Co. v. NLRB''. The evidence supporting the agency's conclusion must be substantial in consideration of the record as a whole, even including the evidence that is not consistent with the agency's conclusion.


Background

Universal Camera Corp. fired an employee who testified under the Wagner Act. The National Labor Relations Board ordered Universal Camera Corp. to reinstate the employee with back pay and to
cease and desist A cease and desist letter is a document sent to an individual or business to stop alleged illegal activity. The phrase "cease and desist" is a legal doublet, made up of two near-synonyms. The letter may warn that, if the recipient does not dis ...
terminating employees for this reason. The Court of Appeals for the Second Circuit upheld the order, and the Supreme Court granted
certiorari In law, ''certiorari'' is a court process to seek judicial review of a decision of a lower court or government agency. ''Certiorari'' comes from the name of an English prerogative writ, issued by a superior court to direct that the record of ...
to resolve a circuit split.


Decision

Justice Frankfurter delivered the opinion of the Court. The Court discussed the "substantial evidence" test established by the Court in ''Consolidated Edison Co. v. NLRB'', which interpreted the Wagner Act, the original National Labor Relations Act. The Act provided that " e findings of the Board as to the facts, if supported by evidence, shall be conclusive." The ''Con Edison'' court read "evidence" to mean "substantial evidence." "Substantial evidence is more than a mere scintilla. It means such relevant evidence as a reasonable mind might accept as adequate to support a conclusion." The ''Universal Camera'' Court reviewed the Act's legislative history, concluding that " is fair to say that in all this Congress expressed a mood... As legislation that mood must be respected." The Court found that both the Administrative Procedure Act and the Taft-Hartley Act, which amended the National Labor Relations Act, required that courts consider the whole record. In weighing the substantiality of evidence, courts must thus consider the whole body of evidence, including views opposed to the ultimate decision. Justices Black and Douglas concurred only in parts I and II of the opinion, and dissented from part III.''Universal Camera'', 340 U.S. at 497. ''Universal Camera'' has been "the leading case on the meaning of the APA's 'substantial evidence' test for review of agency factual conclusions in formal proceedings" for over sixty years. Commentators have noted that the substantial evidence test, as determined by ''Universal Camera'', is "less deferential than the jury standard but more deferential than the clearly erroneous standard of Fed. R. Civ. Proc. 52(a)."


See also

* List of United States Supreme Court cases ** Lists of United States Supreme Court cases by volume **
List of United States Supreme Court cases, volume 340 This is a list of all the United States Supreme Court cases from volume 340 of the ''United States Reports The ''United States Reports'' () are the official record ( law reports) of the Supreme Court of the United States. They include rulings, ...
** List of United States Supreme Court cases by the Vinson Court


References


External links

* {{DEFAULTSORT:Universal Camera Corp. V. Nlrb 1951 in United States case law United States Supreme Court cases United States Supreme Court cases of the Vinson Court United States administrative case law National Labor Relations Board litigation Cameras