CompFox Logo
AboutWorkflowFeaturesPricingCase LawInsights

Updated Daily

Case Law Database

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

Case No. ADJ488924 (SDO 0329999), ADJ226519 (SDO 0302236), ADJ2353553 (SDO 0250184), ADJ4021935 (SDO 0269434)
Regular
Dec 10, 2020

Craig Stevens vs. Subsequent Injuries Benefits Trust Fund

The Workers' Compensation Appeals Board (WCAB) rescinded a previous order denying benefits from the Subsequent Injuries Benefits Trust Fund (SIBTF). Applicant Craig Stevens sought SIBTF benefits for a claimed subsequent cumulative trauma injury to his neck ending April 2, 2009, with a compensable consequence injury to his right shoulder and low back. The WCAB found the medical evidence regarding the causation, date of injury, and permanent disability ratings for the alleged subsequent injuries, as well as prior injuries, to be insufficient and inconsistent. The case was returned to the trial level for further development of the record, including obtaining new medical opinions to clarify the various injuries and establish SIBTF eligibility thresholds.

Subsequent Injuries Benefits Trust FundSIBTF eligibilitycumulative trauma injurycompensable consequence injurypermanent disabilityapportionmentmedical evidencecausationfurther development of the recordLabor Code section 4751
References
9
Case No. MISSING
Regular Panel Decision
Aug 05, 2013

Mohan v. Atlantic Court, LLC

Edward Mohan sustained injuries at a construction site and later died. His representatives, the plaintiffs, filed an action for personal injuries and wrongful death against the site owner, Atlantic Court, LLC, and the general contractors, Kit Construction, LLC, and Kit Construction Co., Inc. The general contractors then brought a third-party action against Mohan's employer, Eagle One Roofing Contractors, Inc., the subcontractor. The Supreme Court's order granted summary judgment dismissing the wrongful death cause of action and parts of the indemnification claims. On appeal, the order was modified: summary judgment on the wrongful death claim was denied due to factual disputes regarding the causation of Mohan's death, and summary judgment for common-law indemnification against Eagle One was denied due to a factual issue on whether Mohan suffered a grave injury. However, the contractual indemnification claims against Eagle One by Kit Construction Co., Inc. and Atlantic Court, LLC, were affirmed.

Personal InjuryWrongful DeathSummary JudgmentContractual IndemnificationCommon-Law IndemnificationConstruction AccidentSubcontractor LiabilityGeneral ContractorAppellate ReviewCausation (Medical)
References
11
Case No. ADJ9445538
Regular
Oct 05, 2017

WENDY LEUNG vs. HUNTINGTON MEDICAL FOUNDATION, SUBSEQUENT INJURIES BENEFIT TRUST FUND

The Workers' Compensation Appeals Board denied Wendy Leung's petition for reconsideration of the administrative law judge's decision. The judge found no substantial medical evidence to support a subsequent compensable industrial permanent disability claim sufficient for benefits from the Subsequent Injuries Benefit Trust Fund (SIBTF). Leung contended she met SIBTF eligibility by claiming a prior $43\%$ permanent disability, a subsequent injury, and a resulting combined disability exceeding $70\%$. However, the Board agreed that Leung failed to prove industrial causation for her subsequent injury with reasonable medical probability.

Subsequent Injuries Benefit Trust FundLabor Code Section 4751cumulative injurypermanent disabilityreasonable medical probabilityindustrial causationapportionmentQualified Medical Evaluator (QME)Agreed Medical Evaluator (AME)Workers' Compensation Appeals Board (WCAB)
References
2
Case No. ADJ869205 (SAC 0294976) ADJ302322 (SAC 0354178)
Regular
Oct 11, 2010

Patricia Rush vs. The Permanente Medical Group; Athens Administrators Concord

This case involves Patricia Rush claiming cumulative trauma injuries to her knees and back, among other body parts, against The Permanente Medical Group. The Workers' Compensation Appeals Board granted reconsideration because the Administrative Law Judge's findings of industrial causation for knee injuries lacked substantial medical evidence, with conflicting and uncertain Qualified Medical Evaluator opinions. The Board rescinded the prior findings and ordered further development of the medical record, suggesting an Agreed Medical Examiner or a court-appointed physician to resolve the causation issue for the knee injuries. The matter is returned to the trial level for a new final determination after the record is further developed on all issues, including injury causation.

Workers' Compensation Appeals BoardPermanente Medical GroupAthens Administratorscumulative trauma injurykneesbackshouldershandswristsindustrial causation
References
0
Case No. MISSING
Regular Panel Decision
Dec 22, 1999

Claim of Taylor v. Niagara Mohawk Power Corp.

A customer service representative with a history of multiple chemical sensitivity, asthma, rhino sinusitis, and irritable bowel filed two claims for workers' compensation benefits. Her conditions worsened after exposure to roof tar fumes in 1993 and insecticide (Dursban) fumes in 1995, eventually leading to her inability to work. The Workers’ Compensation Board determined she was permanently, totally disabled due to these exposures and awarded benefits. The employer and carrier appealed, arguing the conditions were diseases, not accidental injuries, and challenging the causation finding. The Court affirmed the Board's decision, citing precedents that exacerbation of preexisting conditions by workplace chemical fumes constitutes an accidental injury and finding substantial evidence in claimant's and a physician's testimony.

Chemical ExposureMultiple Chemical SensitivityAsthmaRhino SinusitisIrritable BowelPermanent Total DisabilityAccidental InjuryExacerbation of Preexisting ConditionWorkplace FumesCausation
References
3
Case No. MON 318383
Regular
Nov 01, 2007

PETER FERINO vs. GLENN E. THOMAS DODGE, FARMERS INSURANCE EXCHANGE

The Workers' Compensation Appeals Board (WCAB) granted reconsideration and rescinded a prior award finding a right knee injury compensable as a consequence of an admitted back injury. The WCAB determined that while the need for knee surgery was supported by substantial medical evidence, the record lacked substantial medical evidence to establish industrial causation of the knee injury as a consequence of the back injury. The case was remanded for further development of the record on the issue of causation.

Compensable consequenceExpedited hearingIndustrial causationSubstantial medical evidenceReconsiderationFindings and AwardWorkers' Compensation Appeals BoardWCJDeclaration of ReadinessMedical treatment
References
7
Case No. MISSING
Regular Panel Decision
Dec 03, 2004

Claim of Scally v. Ravena Coeymans Selkirk Central School District

In this case, a claimant appealed a Workers’ Compensation Board decision regarding apportionment of her workers' compensation award. The claimant, who suffered a work-related left knee injury in 2002, had a pre-existing non-work-related injury to the same knee from 1986. While a WCLJ initially denied apportionment, the Board reversed, directing a 50/50 apportionment based on the premise that the prior injury would have resulted in a schedule loss of use award had it been work-related. The appellate court upheld the Board's determination, deferring to its interpretation that a non-work-related injury leading to a schedule loss of use constitutes a "disability in a compensation sense" for apportionment purposes. This decision was supported by medical expert testimony indicating a schedule loss of use from the prior surgery.

Workers' CompensationApportionmentKnee InjuryNon-work-related InjurySchedule Loss of UsePreexisting ConditionMedical Expert TestimonyBoard InterpretationJudicial ReviewAppellate Decision
References
13
Case No. ADJ9132951
Regular
Jul 25, 2016

MICHAEL APPIS vs. SAN BERNARDINO CITY UNIFIED SCHOOL DISTRICT

The Workers' Compensation Appeals Board denied the employer's petition for reconsideration. The Board affirmed the finding that the applicant sustained a psychiatric injury arising out of and in the course of employment. The Board clarified that causation of injury is distinct from apportionment of permanent disability, and that the Agreed Medical Evaluator's opinion on causation of injury was persuasive. Finally, the Board found no merit in the employer's argument that the applicant's stress was limited to events within 12 months prior to the injury date.

AOE/COEpsychelawful non-discriminatory good-faith personnel actionsapportionmentagreed medical evaluatorAMEcausation of injurycausation of disabilitycumulative injurylabor code section 5500.5
References
5
Case No. 2020 NY Slip Op 04437 [186 AD3d 401]
Regular Panel Decision
Aug 06, 2020

Matter of New York City Asbestos Litig. v. Air & Liquid Sys. Corp.

This case, part of the New York City Asbestos Litigation, involved claims from William E. Robaey and Marlena Robaey against Federal-Mogul Asbestos Personal Injury Trust, among others, for peritoneal mesothelioma caused by asbestos exposure from gaskets. A jury awarded significant damages for pain and suffering and loss of consortium. On appeal, Federal-Mogul challenged the sufficiency of evidence for specific causation and the weight of the evidence. The Appellate Division, First Department, affirmed the finding of specific causation, distinguishing the facts from prior rulings, particularly Juni. However, the court found the damages for past pain and suffering and past loss of consortium materially deviated from reasonable compensation and ordered a new trial on those damages unless the plaintiff agreed to a stipulated reduction.

Asbestos LitigationMesotheliomaToxic TortSpecific CausationExpert TestimonyDamages RemittiturPain and SufferingLoss of ConsortiumAppellate ReviewJury Verdict
References
16
Case No. ADJ7336477
Regular
May 20, 2013

Pedro Martinez vs. Casa Herrera, Inc., Liberty Mutual Insurance Company

This case involves a workers' compensation applicant seeking reconsideration of a finding of no industrial injury. The applicant argued that causation was not an issue and that psychiatric injury rules were not properly considered, also challenging the Agreed Medical Examiner's (AME) report. The Board denied reconsideration, finding that industrial causation was consistently disputed by the defendant. The applicant failed to provide substantial medical evidence to support industrial injury claims, while the AME's report was deemed substantial and supported the finding of no industrial injury.

Workers' Compensation Appeals BoardPedro MartinezCasa HerreraLiberty Mutual Insurance CompanyADJ7336477Petition for ReconsiderationFindings And OrderAdministrative Law Judge (WCJ)Industrial InjuryLabor Code section 3208.3(h)
References
10
Showing 1-10 of 12,942 results

Ready to streamline your practice?

Apply these legal strategies instantly. CompFox helps you find decisions, analyze reports, and draft pleadings in minutes.

CompFox Logo

The AI standard for workers' compensation professionals. Faster research, deeper analysis, better outcomes.

Product

  • Platform
  • Workflow
  • Features
  • Pricing

Solutions

  • Defense Firms
  • Applicants' Attorneys
  • Insurance carriers
  • Medical Providers

Company

  • About
  • Insights
  • Case Law

Legal

  • Privacy
  • Terms
  • Trust
  • Cookies
  • Subscription

© 2026 CompFox Inc. All rights reserved.

Systems Operational