This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- The Worker was previously entitled to medical benefits due to a work-related injury. However, his condition was later aggravated by two non-work-related car accidents in 2009, leading to a reassessment of his entitlement to continued medical benefits.
Procedural History
- Appeal from the New Mexico Workers’ Compensation Administration, Gregory D. Griego, Workers’ Compensation Judge: The compensation order determined that the Worker is no longer entitled to medical benefits.
Parties' Submissions
- Worker-Appellant: Argued that there was uncontradicted medical evidence showing his disability was a direct result of his work-related injury and that the subsequent non-work-related car accidents did not break the causation from the original injury.
- Employer/Insurer-Appellee: Contended that the Worker's condition was permanently aggravated by the 2009 non-work-related car accidents, resulting in a break in causation from the original work-related injury, thus relieving the Employer/Insurer from the obligation to provide continued care.
Legal Issues
- Whether the Worker's disability was a natural and direct result of his work-related injury.
- Whether the non-work-related car accidents in 2009 broke the causation from the original work-related injury, thus relieving the Employer/Insurer from the obligation to provide continued medical benefits.
Disposition
- The Court of Appeals affirmed the compensation order that the Worker is no longer entitled to medical benefits.
Reasons
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Per Michael D. Bustamante, J. (Timothy L. Garcia, J., and M. Monica Zamora, J., concurring): The Court found the Worker's arguments unconvincing and upheld the Workers’ Compensation Judge's decision. The Court noted that the evidence was not uncontradicted, as the Worker's own deposition testimony and Dr. Garcia's opinion provided evidence of a break in causation due to the 2009 non-work-related car accidents. The Court also highlighted that the Worker's argument ignored his own deposition testimony that contradicted Dr. Evans's testimony, which was largely based on the Worker's self-reports. The Court concluded that the district court was not required to accept Dr. Evans's testimony on causation pursuant to the uncontradicted medical evidence rule, as it was contradicted by legitimate inferences drawn from the facts and circumstances of the case (paras 1-4).
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