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Case Law Database

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

Case No. MISSING
Regular Panel Decision
Jun 02, 2008

Claim of Laezzo v. New York State Thruway Authority

The claimant suffered a work-related slip and fall in 2002, leading to injuries including his head, neck, back, and knees. His morbid obesity contributed to his back and knee issues, prompting him to seek authorization for gastric bypass surgery. The Workers’ Compensation Law Judge approved the surgery, a decision affirmed by the Workers’ Compensation Board, which found the surgery causally related to the compensable injuries. The employer and its carrier appealed, challenging the causal link. The court affirmed the Board's decision, noting substantial evidence that the claimant's weight gain was a result of the sedentary lifestyle imposed by his injuries, and that the surgery would aid in his recovery.

Workers' CompensationConsequential InjuryGastric Bypass SurgeryMorbid ObesityMedical Treatment AuthorizationCausationKnee InjuryBack InjurySedentary LifestyleBoard Decision Appeal
References
2
Case No. ADJ4671941
Regular
Oct 11, 2010

GEORGE VIVEIROS vs. TURLOCK CITY TOW SERVICE, WESTPORT INSURANCE CORPORATION, SOUTHLAND CLAIMS SERVICE, INC.

The Workers' Compensation Appeals Board denied the defendant's Petition for Reconsideration and dismissed their Petition for Removal. The Board found that the defendant failed to timely object to the applicant's request for back surgery and that substantial medical evidence supported the need for the procedure. The defendant's arguments regarding the timeliness of their objection, burden of proof, and the sufficiency of medical evidence were rejected. Consequently, the original finding and award, granting the applicant entitlement to back surgery, remains upheld.

Petition for ReconsiderationPetition for RemovalFinding and AwardBack SurgeryUtilization ReviewLabor Code section 4610Burden of ProofDWC Rule 9792.6(o)Substantial Medical OpinionAdministrative Law Judge
References
0
Case No. MISSING
Regular Panel Decision

Claim of Virtuoso v. Glen Campbell Chevrolet, Inc.

Claimant Virtuoso sustained a work-related back injury in 1991 but did not qualify for workers' compensation benefits due to insufficient lost time. In 2003, he sought further action due to a worsened back condition that necessitated surgeries in 2002 and 2006. The Workers' Compensation Board denied his claim for benefits, determining that he failed to establish a causal relationship between his worsened condition and the original 1991 accident. On appeal, the Appellate Division affirmed the Board's decision, noting the claimant's failure to file required medical reports, the ambiguity of a treating physician regarding causation, and the lack of proper authorization for the surgeries, thereby upholding the Board's conclusion.

Workers' CompensationBack InjuryCausationMedical ReportsSurgical AuthorizationSpecial FundReopened CasesAppellate ReviewSubstantial EvidenceMedical Evidence
References
6
Case No. MISSING
Regular Panel Decision

Claim of Grant v. Niagara Mohawk Power Co.

The claimant, a 60-year-old lineman, suffered a left leg and back injury in December 2000 while working for Niagara Mohawk Power Company, receiving initial benefits. He later underwent surgery for an unrelated right foot injury and subsequently retired in June 2002, receiving disability retirement benefits. The Workers’ Compensation Board reversed a WCLJ decision, finding that the claimant voluntarily withdrew from the labor market because he lacked a finding of permanency and failed to provide sufficient medical documentation to prove a continuing disability causally related to his initial work injury. The appellate court affirmed the Board's determination, concluding that substantial evidence supported the finding that his retirement was due to the unrelated right foot injury and not the work-related back and leg injury, and that he failed to meet the burden of demonstrating a continuing disability for permanency classification.

Workers' CompensationLabor Market AttachmentVoluntary WithdrawalPermanent Partial DisabilityMedical EvidenceAppellate ReviewInjury CausationRight Foot InjuryBack InjuryLeft Leg Injury
References
6
Case No. MISSING
Regular Panel Decision
Aug 07, 1984

Murtaugh v. Bankers Trust Co.

In November 1978, claimant Murtaugh filed a discrimination claim against Bankers Trust Company of Albany, N. A. following her 1977 dismissal, citing Workers’ Compensation Law § 241. The Workers’ Compensation Board affirmed a discrimination finding, which was subsequently upheld by the Appellate Division. An administrative law judge directed Murtaugh's reinstatement and awarded back wages from January 1, 1978, to October 19, 1982, with an offset for unemployment benefits. The Bank appealed this decision, contending the back pay award was unauthorized under Workers’ Compensation Law § 120, arguing Murtaugh failed to accept reemployment or mitigate damages. The court found substantial evidence that no bona fide reemployment offer was made and that the issue of mitigation of damages was not properly raised. Consequently, the court affirmed the Board's decision, upholding Murtaugh's entitlement to back pay.

Workers' Compensation LawDiscriminationBack Pay AwardReinstatementMitigation of DamagesUnemployment BenefitsOffer of ReemploymentAppellate DivisionNew York LawEmployer Liability
References
4
Case No. MISSING
Regular Panel Decision

Claim of Casiano v. CCIP/Union Settlement Home Care

In March 2001, claimant sustained a work-related back injury. Neurosurgeon Richard J. Radna recommended and performed decompression surgery despite the workers' compensation carrier denying preauthorization for the procedure. Both a Workers’ Compensation Law Judge and the Workers’ Compensation Board subsequently ruled that the surgery was not medically necessary, thereby absolving the carrier of liability for its cost. Claimant and Radna appealed this determination to the appellate court. Radna's appeal was dismissed due to lack of standing, and the Board's decision was affirmed, as it was within its purview to resolve the conflicting medical evidence presented by Radna and the carrier's neurosurgeon regarding the necessity of the surgery.

Workers' Compensation LawMedical NecessitySurgical ProcedurePreauthorization DenialNeurological InjuryConflicting Medical OpinionsAppellate ReviewStanding IssueCarrier LiabilityBack Injury
References
3
Case No. LAO 0811779, LAO 0811780
Regular
Mar 06, 2008

ELENA BLANKEVOORT vs. HUNTINGTON MEMORIAL HOSPITAL, S&B SURGERY CENTER

The Workers' Compensation Appeals Board (WCAB) granted reconsideration and rescinded a trial judge's order disallowing a lien claim from S&B Surgery Center. The WCAB found that while S&B Surgery Center did have a required "surgical clinic" license, it failed to prove compliance with fictitious business name filing requirements. However, the WCAB returned the case to the trial level for further proceedings, allowing S&B Surgery Center an opportunity to correct this procedural defect to recover on its lien.

Fictitious business nameLien claimantSurgical clinic licenseBusiness and Professions Code section 17910Medical BoardDepartment of Health ServicesBurden of proofReconsiderationWorkers' Compensation Appeals BoardOutpatient setting
References
12
Case No. 531582
Regular Panel Decision
May 13, 2021

Matter of Matteliano v. Trinity Health Corp.

Caitlyn Matteliano, a nurse assistant, suffered work-related back, knee, and leg injuries in 2015 and 2018. Her treating orthopedic surgeon, Franco Vigna, requested authorization for multi-level lumbar fusion surgery and an external bone growth stimulator due to persistent pain and degenerative disc disease, despite conservative treatments. The employer denied this request based on an independent medical examination by Anthony Leone, who deemed the surgery aggressive and inappropriate given the lack of instability. A Workers' Compensation Law Judge initially denied the request, but the Workers' Compensation Board approved it. The employer appealed, and the Appellate Division, Third Department, affirmed the Board's decision, finding substantial evidence in Vigna's testimony to support the surgery's authorization under medical treatment guidelines for degenerative disc disease where non-surgical management has failed.

Workers' CompensationLumbar Fusion SurgeryMedical Treatment GuidelinesDegenerative Disc DiseaseDiscogenic Back PainIndependent Medical ExaminationPrior AuthorizationAppellate ReviewNurse AssistantWork Injury
References
9
Case No. ADJ4016735 (BAK 0147536)
Regular
Jun 11, 2012

COLLEEN PARHAM vs. KERN RADIOLOGY MEDICAL GROUP, LEGION INSURANCE GROUP

This case involves an applicant seeking bilateral knee replacement surgery due to an admitted industrial back injury. The applicant argues the surgery is necessary to enable further treatment for her back, specifically a spinal cord stimulator. The defendants contested this, claiming the knee condition was independent and unrelated to the industrial injury. The Appeals Board granted reconsideration, finding the knee surgery reasonably required to relieve the industrial back injury, citing *Bolton* and *Rowan*, even if the knee condition itself was not industrial. The Board rescinded prior findings, awarding the knee surgery and deferring issues of permanent disability and temporary disability.

Workers' Compensation Appeals BoardReconsiderationFindings of FactBilateral Knee ReplacementIndustrial InjuryBack InjurySpinal Cord StimulatorTemporary Total DisabilityPermanent and StationaryQualified Medical Evaluator
References
8
Case No. 2020 NY Slip Op 02960
Regular Panel Decision
May 21, 2020

Matter of Robinson v. New York City Health & Hosps. Corp.

Jacqueline Robinson appealed a Workers' Compensation Board decision denying her request to reclassify her disability from permanent partial to temporary total following back surgery. Established with a permanent partial disability in 2015 for a 2009 work-related back injury, Robinson underwent back surgery in June 2018 and sought reclassification. The Workers' Compensation Law Judge (WCLJ) awarded temporary total disability payments for the post-surgery period up to the hearing date but reverted to permanent partial thereafter. The Board affirmed, finding no evidence that the surgery worsened her condition or caused "other trauma" or "significant reinjury." The Appellate Division, Third Department, affirmed the Board's decision, concluding it was supported by substantial record evidence.

Workers' CompensationPermanent Partial DisabilityTemporary Total DisabilityDisability ReclassificationBack InjurySurgical ImpactMedical Evidence ReviewSubstantial EvidenceWage-Earning CapacityAppellate Division
References
6
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