550 U.S. 618 (2007)
Lilly Ledbetter v. Goodyear Tire & Rubber Co.
Does the statute of limitations for filing a pay discrimination claim under Title VII begin at the time the discriminatory pay decision is made, or each time a paycheck reflecting that decision is issued?
Under Title VII of the Civil Rights Act of 1964, a claim of discrimination must be filed with the EEOC within 180 days (or 300 days in certain jurisdictions) of the alleged discriminatory act, not each continuation of its effects.
The Supreme Court held that the statute of limitations for filing a pay discrimination claim under Title VII runs from the date of the employer's pay-setting decision, not from the issuance of each paycheck that reflects that decision.
Lilly Ledbetter v. Goodyear declared a narrow interpretation of the statute of limitations under Title VII regarding pay discrimination, placing significant procedural importance on when discriminatory acts are understood and challenged. The 2007 decision received considerable public and legislative attention, ultimately leading to the Lilly Ledbetter Fair Pay Act of 2009. This Act amended Title VII, allowing the statute of limitations to reset with each discriminatory paycheck, making it easier for workers to bring pay discrimination cases even if the discriminatory actions took place long ago.