Sixth Circuit: Sheila Armstrong v. Mich. Bureau of Servs. for Blind Persons

 

Arbitrator's decision that damages request was too speculative was not arbitrary or capricious, given insufficient evidence in the claim.

Federal statute providing for state administrative remedy, followed by federal arbitration, followed by Article III review provides sufficient enforcement mechanism to displace S1983 remedy.

Sheila Armstrong v. Mich. Bureau of Servs. for Blind Persons