A Muslim female teacher sued her former employer, the Board of Education for the School District of Philadelphia, as well as the Commonwealth of Pennsylvania under Title VII, alleging religious discrimination. The defendant school board argued that it suspended and ultimately fired the plaintiff under the Pennsylvania Garb Statue (Public Law No. 282) when she refused to remove her headscarf while teaching. The U.S. District Court for the Eastern District of Pennsylvania found in favor of the defendant Commonwealth, but against the School Board. The Third Circuit affirmed the decision against the Commonwealth but reversed the decision against the School Board, holding that, while the statute may present conflicts with the First Amendment, to bring a claim under Title VII, as the plaintiff did, requires proving that the accommodation would not be an undue burden for the employer. The Court further held that allowing teachers to wear religious garb would be an example of an undue burden, as it threatens the religious neutrality of the public school system. The Court upheld the conclusion of the District Court that “the Commonwealth was not [plaintiff’s] employer within the meaning of Title VII."