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Access over workers' compensation decisions, including En Banc, Significant Panel Decisions, and writ-denied cases.

Case No. ADJ460672 (SFO 0499592), ADJ224818 (SFO 0499593)
Regular
Jul 11, 2012

HAMID KHAZAELI vs. SPEDIA.COM, INC., and SYSMASTER CORP., GREAT AMERICAN INSURANCE CO

Applicant Hamid Khazaeli has been declared a vexatious litigant under CCR Title 8, Section 10782, requiring pre-filing approval for any filings with the Workers' Compensation Appeals Board (WCAB) unless represented by an attorney. His "Petition for Reconsideration, Removal, Disqualification, and to Compel Testimony" filed on June 29, 2012, was reviewed. The WCAB did not accept this petition for filing, deeming it largely duplicative of prior dismissed and rejected filings. This decision reinforces the applicant's status as a vexatious litigant subject to strict pre-filing review protocols.

Vexatious LitigantPre-filing OrderCCR Title 8 Section 10782Petition for ReconsiderationRemovalDisqualificationCompel TestimonyJudicial OfficersQuasi-Judicial OfficersAppeals Board
References
2
Case No. MISSING
Regular Panel Decision

Claim of Jex v. Albion Correctional Facility

A vocational cosmetology instructor, the claimant, sustained a workplace injury in 1994, exacerbating preexisting respiratory issues, and received workers' compensation benefits until October 1995. In 1999, before taking disability retirement, she filed a new claim for an occupational disease caused by workplace air quality dating back to 1989. The Workers’ Compensation Board deemed her occupational disease claim time-barred under Workers’ Compensation Law § 28, a decision upheld after her application for reconsideration was denied. The court affirmed the Board's finding, stating that occupational disease claims must be filed within two years of disablement and awareness of its work-related cause. Evidence from October and December 1995 indicated the claimant's knowledge of the link between her respiratory problems and employment, thus rendering her 1999 claim untimely.

Occupational diseaseUntimely claimTime-barredRespiratory problemsVocational cosmetology instructorWorkers’ Compensation BoardAppealEvidence of knowledgeDisablement dateWorkplace injury
References
2
Case No. ADJ761271 (SJO 0070447)
Regular
Sep 22, 2010

Dorothy Thompson vs. GENERAL MOTORS, Permissibly SelfInsured, Adjusted by SEDGWICK CLAIMS MANAGEMENT SERVICES

The Workers' Compensation Appeals Board has declared Dorothy Thompson a vexatious litigant. This declaration follows a notice issued on September 7, 2010, to which no response was received. As a result, any future filings by Ms. Thompson in propria persona will be considered "conditionally filed." Such filings will only be deemed properly filed after a judge or the Board determines they do not violate Rule 10782(a).

Vexatious LitigantPre-filing OrderWorkers' Compensation Appeals BoardPropria PersonaRule 10782(a)Conditionally FiledPermissibly Self-InsuredSedgwick Claims Management ServicesNotice of IntentionPresiding Workers' Compensation Judge
References
0
Case No. MISSING
Regular Panel Decision
Jan 19, 2011

Turner v. City of New York

Petitioner was injured on April 14, 2009, and initially believed their claim was covered by Workers' Compensation, delaying legal counsel until July 13, 2010. Counsel promptly served a notice of claim and sought an order to deem it timely filed nunc pro tunc. The Supreme Court, Bronx County, initially granted this motion. However, the appellate court unanimously reversed the decision, ruling that the application made on July 14, 2010, was untimely. The court determined that the one-year and 90-day limitations period, as outlined in General Municipal Law § 50-i (1) and General Construction Law §§ 20, 58, had expired on July 13, 2010, rendering the application one day too late.

Notice of ClaimTimelinessNunc Pro TuncGeneral Municipal LawGeneral Construction LawLimitations PeriodAppellate ReviewWorkers' CompensationTort ActionMunicipality
References
5
Case No. MISSING
Regular Panel Decision

Claim of Cerami v. Rochester City School District

This case involves an appeal from a Workers’ Compensation Board decision that found a claimant’s benefit claim untimely. The claim, filed in 1980, stemmed from a mental breakdown in 1966-1967 alleged to be work-related. The Board ruled the claimant was mentally competent to file within the two-year statutory period (WCL § 28), thus rejecting the tolling provision for mental incompetency (WCL § 115). The appellate court reviewed the medical testimony of Dr. Leve and Dr. Pisetzner, concluding the Board misconstrued their findings regarding the claimant’s capacity to comprehend his mental illness as work-related, despite general competence to file other claims. The court found overwhelming medical evidence indicated the claimant was mentally incapable of filing a claim for employment-induced mental illness and therefore deemed the claim timely under WCL § 115 due to continuing mental incapacity. Additionally, the court found substantial, virtually unanimous medical testimony confirming the work-related causation of the claimant’s mental illness, contrary to the Workers’ Compensation Law Judge’s determination. The decision was reversed, compensation benefits granted, and the matter remitted to the Board for further proceedings.

Workers' Compensation ClaimTimeliness of ClaimMental IncompetencyTolling Statute of LimitationsParanoid SchizophreniaEmployment-Induced Psychological InjuryCausal RelationshipMedical Testimony InterpretationAppellate ReviewReversal of Board Decision
References
3
Case No. MISSING
Regular Panel Decision

In Re St. James Mechanical, Inc.

ITT Sheraton Corporation (ITT) moved to extend its time to file a proof of claim or to have the notice of appointment of the Creditors Committee deemed an informal claim in the Chapter 11 bankruptcy case of St. James Mechanical, Inc. (the Debtor). The Court denied both aspects of ITT's motion. The Court ruled that ITT no longer possessed a pre-petition claim against the Debtor because it was discharged upon the confirmation of the reorganization plan, thus making Rule 9006(b) for extending claim filing time inapplicable. Additionally, the Court found that the Notice of Appointment did not constitute a valid informal proof of claim as it was not filed by ITT and lacked sufficient intent. However, the Court determined that despite ITT's failure to file a timely claim, it is still entitled to the treatment outlined in the confirmed plan, as the plan's provisions are binding on all parties, acting as res judicata, even if they contained legal errors in ITT's inclusion.

BankruptcyChapter 11Proof of ClaimExcusable NeglectPlan ConfirmationDischargeDue ProcessRes JudicataInformal ClaimCreditors Committee
References
33
Case No. MISSING
Regular Panel Decision

Garguiolo v. New York State Thruway Authority

The Court of Claims initially granted the claimants' application for permission to file a late notice of claim without providing reasons. This decision was subsequently reversed by the appellate court. The reversal was predicated on the statutory factors outlined in Court of Claims Act § 10 (6), which include a six-month unexplained delay in filing and a lack of evidence that the State or Thruway Authority had prior notice of the claim's essential facts or an opportunity to investigate. The appellate court further noted that the State would suffer prejudice due to the changing nature of the construction site where the injury occurred. Additionally, the claimant's allegations regarding a violation of the New York State Labor Law were deemed bare, and a partial alternate remedy was available through workers’ compensation.

Late Notice of ClaimCourt of Claims Act Section 10(6)Appellate ReversalMotion DeniedPrejudiceConstruction AccidentWorkers' Compensation RemedyNew York State Labor LawFailure to State ReasonsTimeliness of Claim
References
1
Case No. MISSING
Regular Panel Decision
Feb 04, 1983

Claim of Palumbo v. Transport Masters International, Inc.

The Workers' Compensation Board initially denied a claim due to late filing and lack of advance compensation payment. A subsequently located disability benefits file was reviewed by the Board in the interest of justice. However, the Board found no evidence within this file to indicate a claim for compensation was filed as required by section 28 of the Workers' Compensation Law. The court affirmed the Board's decision, emphasizing that only questions of fact were presented. The court concluded that the Board's factual findings were conclusive as they were supported by substantial evidence in the record.

Workers' Compensation BoardClaim Filing DeadlineDisability Benefits FileSubstantial EvidenceQuestions of FactAppellate ReviewTime LimitationAdvance PaymentSection 28Administrative Review
References
1
Case No. MISSING
Regular Panel Decision
Nov 26, 2002

Alexander v. City of New York

The Supreme Court, Bronx County, affirmed the denial of the petitioner's application for leave to file a late notice of claim. The petitioner failed to provide a reasonable excuse for the delay, did not establish that the respondents had timely notice of the facts, and could not show that the respondents would not be substantially prejudiced. The excuse of awaiting an accident report was deemed unreasonable as the petitioner already possessed necessary information. Furthermore, the workers' compensation report allegedly filed by the employer did not adequately disclose the basis for liability. The substantial passage of time since February 2001 prejudiced the respondents' ability to investigate alleged ladder defects and collect witness testimony.

late notice of claimreasonable excuseprejudiceworkers' compensation reportaccident reportSupreme Courtdenial of applicationfailure to demonstrate noticeinvestigation impairmentwitness testimony
References
2
Case No. MISSING
Regular Panel Decision
Apr 11, 1986

Rivera v. Feinstein

Plaintiffs Manuel Rivera, Idalia Gonzalez, and members of Local 2H sought a preliminary injunction to prevent a disciplinary hearing against Gonzalez and to secure office access for Rivera, arguing violations of LMRDA free expression rights. They also moved for leave to file a supplemental complaint. The court denied the preliminary injunction, finding no irreparable harm and noting that internal union remedies should be exhausted, particularly as charges against Gonzalez were partially withdrawn and an explanation could resolve the dispute. Rivera's office access was deemed an arbitration issue. However, the court granted leave to file the supplemental complaint, finding no undue delay or prejudice to the defendants.

Union DisputeLabor RightsPreliminary InjunctionLMRDAFree SpeechIntra-union ConflictDisciplinary HearingSupplemental ComplaintExhaustion of RemediesArbitration
References
15
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