Mandamus lies to require a public agency or its officer to reinstate an employee to his former position if the employee is wrongfully excluded from it. State, ex rel. Osborn, v. Jackson (1976),
The court of appeals concluded that the personnel directive gave James some discretion, so long as his exercise of such discretion was consistent with the report. The court then found that Rose had not proven that James’s refusal to reinstate Rose was an abuse of discretion. The disputed directive, contained in Section 115.2 of the Personnel Policy Manual, states:
“* * * [T]he CMHA Hearing Officer shall issue a written report which shall state findings of fact, together with conclusions as to whether the action imposed or proposed is required, permitted or barred by law. * * * Upon receipt of the report, the Executive Director of CMHA will promptly take such action as he/she deems appropriate, consistent with the written report.”
The grievance procedures require the director to follow the hearing officer’s recommendations, as the director deems appropriate, consistent with the hearing officer’s report. In light of the recommendations here, James may not maintain the status quo. He must act, and his action must conform to language contained within the four corners of the report.
The hearing officer did not recommend that James retain Rose as an assistant manager. Rather, she recommended that James reinstate Rose to a manager position and pay him compensation lost due to the demotion. This recommendation implies that employing Rose as a probationary manager would satisfactorily remedy Rose’s job deficiencies. Accordingly, under Section 115 of the personnel manual, James was required to reinstate Rose and, by not doing so, wrongfully excluded him from his position. Consequently, Rose has a clear legal right to reinstatement and lost compensation, and James has a clear legal duty to accomplish these actions. Furthermore, since Rose does not have a plain and adequate remedy in the ordinary course of law, we conclude that the court of appeals should have issued the writ.
Rose also argues for back pay. A public employee may recover compensation due him for when he was wrongfully excluded from his employment if he establishes the amount recoverable with certainty. Monaghan v. Richley (1972),
As to Rose’s claim for attorney fees, he must show that James acted in bad faith. This Rose did not do. Even though James acted contrary to the report, he apparently believed he had discretion to do so. The court of appeals, in fact, agreed with him. Obtaining a favorable decision from at least one court can reveal good faith. State, ex rel. Caspar, v. Dayton (1990),
Accordingly, we reverse the judgment of the court of appeals and direct it to issue a writ ordering James to reinstate Rose to his former position
Judgment reversed and cause remanded.
