No specific laws identified for this ruling.
Trial court affirmed the State Personnel Board of Review's decision that the employee was protected by whistleblower statute and that whistleblower activity motivated termination, finding substantial evidence that employee had reasonable good-faith belief of criminal activity.
Trial court did not err by affirming SPBR decision that terminated employee was protected by whistleblower statute and that whistleblower activity motivated the termination because trial court could find there was reliable, probative, and substantial evidence to support conclusion that employee had a reasonable, good-faith belief that criminal activity occurred and that superiors may have considered whistleblower activity in deciding to terminate employee.
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