Sexual Harassment and Workplace Fairness: VA v KCS & Another [2025] KEELRC 1315 (KLR)

The recent judgment in VA v KCS & Another [2025] KEELRC 1315 (KLR) by the Employment and Labour Relations Court in Kenya marks a pivotal moment in the evolving landscape of workplace sexual harassment cases. This ruling not only underscores the importance of due process in employment disputes but also raises critical questions about the interpretation of workplace interactions, the role of condonation, and the balance between protecting employees and ensuring fairness for all parties involved.

At the heart of the case was a female employee, a former Coordinator, dismissed for allegedly sexually harassing a junior colleague by using nicknames like “baby boy” and “lollipop” and making a physical advance. What began as seemingly innocuous office banter spiraled into a termination that the Court ultimately deemed unfair, both substantively and procedurally. The decision to award the petitioner Kshs. 1.58 million in compensation, along with a certificate of service and provident fund dues, sends a clear message: employers must adhere to rigorous standards of evidence and process when handling allegations as serious as sexual harassment.

One of the most striking aspects of this ruling is the Court’s emphasis on condonation. The complainant, referred to as RW3, tolerated the nicknames for 1.5 years without raising any objection. Furthermore, the use of similar terms by other colleagues, including on a birthday cake, went unchallenged. This prolonged inaction, the Court argued, undermined the complainant’s claim, as it suggested a level of acceptance or normalization of the behavior within the workplace culture. The absence of corroborative evidence for the alleged physical advance further weakened the case against the petitioner. This finding challenges workplaces to reflect on how informal interactions are perceived and when they cross into problematic territory. It also highlights the need for timely reporting to establish credible claims of harassment.

Equally significant is the Court’s critique of the employer’s failure to adhere to its own Sexual Harassment Policy. The internal disciplinary process was found lacking in due investigation, violating the petitioner’s right to a fair hearing and proper administrative action. This serves as a stark reminder to employers that policies are not mere formalities—they are binding frameworks that must be followed meticulously. A failure to conduct thorough investigations or to provide accused employees with an opportunity to respond can render even well-intentioned disciplinary actions unlawful.

This judgment also prompts broader reflection on the complexities of sexual harassment allegations in modern workplaces. The case began with what many might dismiss as “office banter,” yet it escalated to a career-ending consequence for the petitioner. The Court’s ruling underscores that not every uncomfortable interaction constitutes harassment, particularly when the behavior is tolerated or reciprocated over time. However, this does not diminish the importance of fostering respectful workplaces where employees feel safe to voice concerns early. Employers must strike a delicate balance: they must take all allegations seriously while ensuring that disciplinary measures are proportionate, evidence-based, and procedurally sound.

For employees, the ruling is a double-edged sword. On one hand, it reinforces protections against unfair dismissal, emphasizing that accusations must be substantiated with clear evidence. On the other hand, it highlights the importance of promptly reporting inappropriate behavior to avoid perceptions of condonation, which could weaken future claims. For employers, the message is unequivocal: robust policies, thorough investigations, and adherence to due process are non-negotiable.

This landmark judgment sets a precedent that will likely influence future cases in Kenya and beyond. It reaffirms that fairness—both in substance and procedure—is the cornerstone of lawful employment practices. As workplaces continue to navigate the complexities of interpersonal dynamics, this ruling serves as a clarion call for clarity, accountability, and equity in addressing allegations of misconduct.