Background of the Case
A former employee of the City of Cape Town was dismissed after being accused of raping and kidnapping a 20‑year‑old woman. The employee claimed the encounter was consensual and that the woman tried to get him fired. After an internal disciplinary hearing, the South African Local Government Bargaining Council (SALGBC) arbitrator ruled that the dismissal was both substantively and procedurally unfair and ordered the employee’s reinstatement.
What the Labor Court Decided
The Western Cape Labor Court reviewed the arbitrator’s decision. Judge Tapiwa Gandidze overturned the reinstatement order. He agreed that the dismissal was substantively justified – the evidence pointed to non‑consensual sex – but found serious procedural flaws in how the disciplinary hearing was conducted.
Key Points from the Judge’s Ruling
- The arbitrator did not consider all the evidence presented before him.
- The employee’s own story changed during the hearing and contained many inconsistencies.
- The employee claimed the sex was consensual only after the fact, which the judge viewed as an afterthought and not credible.
- Because the employee’s version was unreliable, the arbitrator’s conclusion that the dismissal was unfair could not stand.
Why the Dismissal Was Upheld
Judge Gandidze emphasized that serious allegations like rape cannot be dismissed simply because the complainant did not testify. Other evidence – including the employee’s shifting account and the circumstances surrounding the incident – made it more likely that the woman did not consent.
The Role of Hearsay Evidence
The complainant was unavailable to testify, so the arbitrator admitted hearsay statements (what others said she told them). The judge said it was appropriate to use this hearsay because the employee still had a chance to give his own side of the story. However, the employee’s testimony was full of contradictions, weakening his defense.
Compensation for Procedural Unfairness
Although the court upheld the dismissal, it found that the disciplinary process violated procedural fairness. As a remedy, the former employee is entitled to one month’s salary as compensation for the unfair procedure, even though he will not be reinstated.
Conclusion
The case highlights two important lessons: first, allegations of sexual violence must be taken seriously, even when the accuser cannot appear in person; second, employers must follow fair procedures when disciplining staff. In this situation, the City of Cape Town’s decision to fire the employee was justified, but the flawed hearing process required a modest financial remedy for the worker.


