In the case of Galveston Independent School District v. Brent Jaco, the appellate court reviewed the denial of the school district's plea to jurisdiction concerning a whistleblower claim initiated by Jaco, who alleged adverse employment actions after reporting a UIL rule violation. The court concluded that Jaco had sufficiently established a waiver of the district's governmental immunity, even though he did not suffer what could be classified as an adverse employment action. Consequently, the court affirmed the trial court's decision to allow the case to proceed.