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Citations - New Mexico Appellate Reports
Lewis v. Albuquerque Pub. Schs. - cited by 2 documents

Decision Content

This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.

Facts

  • A teacher, while employed at Manzano High School, was exposed to aspergillus spores in her classroom, leading to her diagnosis with allergic bronchopulmonary aspergillosis (ABPA). Despite treatments and requests for cleaning the classroom, her condition worsened, ultimately resulting in her death. Her widower filed for death benefits under the Workers’ Compensation Act, asserting that her death was proximately caused by the ABPA contracted from her workplace (paras 5-12).

Procedural History

  • Court of Appeals, 2018-NMCA-049: Affirmed the Workers’ Compensation Judge's (WCJ) decision that the claim for death benefits was not time-barred and reversed the WCJ's exclusion of certain medical testimony and records, remanding the case for retrial on causation (para 2).
  • Workers’ Compensation Judge: Awarded death benefits to the widower, finding a causal connection between the teacher's ABPA and her death (para 18).

Parties' Submissions

  • Claimant-Petitioner/Cross-Respondent: Argued that the teacher's death was directly caused by ABPA, which she contracted due to her exposure to aspergillus spores in her classroom at Manzano High School (paras 5-12).
  • Employer-Respondent/Cross-Petitioner: Contended that the claim for death benefits was time-barred and that the teacher's death was due to cancer unrelated to ABPA, seeking to introduce additional medical testimony and records to support this position (paras 19-20).

Legal Issues

  • Whether the claim for death benefits was time-barred under the Workers’ Compensation Act (para 22).
  • Whether the WCJ erred in excluding certain medical testimony and records from evidence, which the employer contended related to the teacher's cause of death (para 25).

Disposition

  • The Supreme Court of the State of New Mexico affirmed the Court of Appeals' decision that the claim for death benefits was not time-barred.
  • The Supreme Court reversed the Court of Appeals' decision on the exclusion of medical testimony and evidence, holding that the Court of Appeals erred in its interpretation of Section 52-1-51(C) but agreed that the case must be remanded for further proceedings (para 3).

Reasons

  • Per VIGIL, Justice, with NAKAMURA, C.J., BARBARA J VIGIL, BACON, and THOMSON, JJ., concurring:
    The Supreme Court agreed with the Court of Appeals that the claim for death benefits was not time-barred, affirming this part of the decision based on the interpretation of Section 52-1-46 and relevant case law (paras 22-24).
    On the issue of excluding medical testimony and evidence, the Supreme Court held that the Court of Appeals erred in its interpretation of Section 52-1-51(C). However, the Supreme Court provided its interpretation that in a contested death benefits case, the Act allows for an independent medical examination (IME) to determine the causal connection between the worker's injury and death, thereby necessitating a remand for further proceedings (paras 25-45).
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