An Iranian Muslim worker sued his former employer, the University of Rochester, under Title VII, alleging discrimination based on race and national origin. Specifically, the plaintiff argued that his termination in the months following 9/11 resulted from religious discrimination. The defendant produced documentation of the plaintiff’s poor work performance, citing that as the reason for termination, and the plaintiff did not rebut that evidence. The Court found that the timing of his firing was not enough to establish a discriminatory nexus, that the plaintiff failed to otherwise produce instances of explicit discrimination, and that the University had provided evidence of a legitimate reason for the termination, which the plaintiff did not rebut. The Court thus entered a decision of summary judgment in favor of the defendant.