No specific laws identified for this ruling.
The Tennessee Supreme Court held that a trial judge's secretarial assistant is an at-will employee whose employment automatically terminates at the end of the trial judge's term. Because plaintiff remained employed through the end of Judge Wimberly's term, defendant Ailor could not have tortiously interfered with her employment relationship, and the case was remanded for dismissal.
We granted permission to appeal to clarify the nature of the employment relationship of a trial judge's secretarial assistant. We hold that a trial judgeʼs secretarial assistant is an at-will employee. As a result, the secretarial assistant's employment may be terminated at any time during the term of the trial judge to whom he or she is assigned, either by the judge or the secretarial assistant. If the relationship is not terminated during the trial judge's term, the secretarial assistant's employment automatically terminates when the trial judge's service ends. Because the plaintiff secretarial assistant's employment automatically ended when the trial judge's term ended and because she remained employed until the end of the trial judge's term, as a matter of law, the defendant did not tortiously interfere with the plaintiff's employment relationship. Accordingly, we reverse the judgment of the Court of Appeals, vacate the judgment of the trial court, and remand for entry of a judgment granting the defendant's motion to dismiss the plaintiff's complaint, and for any further proceedings, consistent with this decision, that may be necessary in the trial court.
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