Epi Corporation v. Jennifer Boling

CourtKentucky Supreme Court
DecidedNovember 18, 2014
Docket2014 SC 000037
StatusUnknown

This text of Epi Corporation v. Jennifer Boling (Epi Corporation v. Jennifer Boling) is published on Counsel Stack Legal Research, covering Kentucky Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Epi Corporation v. Jennifer Boling, (Ky. 2014).

Opinion

IMPORTANT NOTICE NOT TO BE PUBLISHED OPINION

THIS OPINION IS DESIGNATED "NOT TO BE PUBLISHED." PURSUANT TO THE RULES OF CIVIL PROCEDURE PROMULGATED BY THE SUPREME COURT, CR 76.28(4)(C), THIS OPINION IS NOT TO BE PUBLISHED AND SHALL NOT BE CITED OR USED AS BINDING PRECEDENT IN ANY OTHER CASE IN ANY COURT OF THIS STATE; HOWEVER, UNPUBLISHED KENTUCKY APPELLATE DECISIONS, RENDERED AFTER JANUARY 1, 2003, MAY BE CITED FOR CONSIDERATION BY THE COURT IF THERE IS NO PUBLISHED OPINION THAT WOULD ADEQUATELY ADDRESS THE ISSUE BEFORE THE COURT. OPINIONS CITED FOR CONSIDERATION BY THE COURT SHALL BE SET OUT AS AN UNPUBLISHED DECISION IN THE FILED DOCUMENT AND A COPY OF THE ENTIRE DECISION SHALL BE TENDERED ALONG WITH THE DOCUMENT TO THE COURT AND ALL PARTIES TO THE '

ACTION. RENDERED: OCTOBER 23, 2014 NOT TO BE PUBLISHED rt,-=1 ,Suprrittr Court of rinurag 2014-SC-000037-WC

EPI CORPORATION w= ZINNAr1/4_,,,„‘J,44.?c APPELLANT

ON APPEAL FROM COURT OF APPEALS V. CASE NO. 2013-CA-000565-WC WORKERS' COMPENSATION NO. 05-85559

JENNIFER BOLING; HONORABLE ALLISON E. JONES, ADMINISTRATIVE LAW JUDGE; AND WORKERS' COMPENSATION BOARD APPELLEES

MEMORANDUM OPINION OF THE COURT

AFFIRMING

Appellant, EPI Corporation, appeals from a Court of Appeals decision

which affirmed the denial of a motion to reopen Jennifer Boling's workers'

compensation award. EPI argues on appeal that the Administrative Law

Judge's ("A1.0") finding that Boling's impairment rating did not change was not

supported by credible or reliable evidence and that she conducted an

erroneous Fawbush v. Gwinn, 103 S.W.3d 5 (Ky. 2003) analysis. For the below

stated reasons, we affirm the Court of Appeals.

Boling injured her right thumb in April 2005 while working for EPI as a

physical therapy assistant. The injury occurred when a patient fell back onto

Boling's hand, dislocating her thumb. Boling's right hand swelled to the point that she was unable to make a fist. She was taken off work and referred to the

Kleinert Kutz Hand Care Center where she was placed under the care of Dr.

Warren C. Breidenbach. Later Boling began to suffer additional symptoms,

including drops in blood pressure and passing out. Dr. Breidenbach believed

that Boling suffered from dystrophy which was related to the thumb injury.

Dr. Donald Wood diagnosed Boling with reflex sympathetic dystrophy ("RSD") 1

(alsoknwCRPS)cuedbyhrtminj.DWodalsbeiv

Boling might suffer from postural orthostatic tachycardia syndrome ("POTS"). 2

Boling filed for workers' compensation in December 2006. A university

evaluation was performed by Dr. Robert B. Nickerson. He found that Boling

sustained a right thumb ligament injury in April 2005 which led her to develop

1 RSD or CRPS is a chronic pain condition. The key symptom of RSD is continuous, intense pain out of proportion to the severity of the injury, which gets worse rather than better over time. RSD most often affects one of the arms, legs, hands, or feet. Often the pain spreads to include the entire arm or leg. Typical features include dramatic changes in the color and temperature of the skin over the affected limb or body part, accompanied by intense burning pain, skin sensitivity, sweating, and swelling. NINDS Complex Regional Pain Syndrome Information Page, (Sept. 24, 2014, 2:42 p.m.) http: / / www.ninds.nih.gov/ disorders / reflex_sympathetic_dystrophy/ reflex_sympath etic_dystrophy.htm. 2 Postural orthostatic tachycardia syndrome (POTS) is one of a group of disorders that have orthostatic intolerance (0I) as their primary symptom. CH describes a condition in which an excessively reduced volume of blood returns to the heart after an individual stands up from a lying down position. The primary symptom of OI is lightheadedness or fainting. In POTS, the lightheadedness or fainting is also accompanied by a rapid increase in heartbeat of more than 30 beats per minute, or a heart rate that exceeds 120 beats per minute, within 10 minutes of rising. The faintness or lightheadedness of POTS are relieved by lying down again. Anyone at any age can develop POTS, but the majority of individuals affected (between 75 and 80 percent) are women between the ages of 15 to 50 years of age. Some women report an increase in episodes of POTS right before their menstrual periods. POTS often begins after a pregnancy, major surgery, trauma, or a viral illness. NINDS Postural Tachycardia Syndrome Information Page, (Sept. 24, 2014, 2:46 p.m.), http: / / www.ninds.nih.gov/ disorders/ postural_tachycardia_syndrome / postural_tac hycardia_syndrome.htm

2 CRPS. Dr. Nickerson also diagnosed Boling with POTS which was not caused

by the thumb injury but was exacerbated by it.

A hearing on Boling's workers' compensation claim was held in October

2009. Boling testified that she could not work because she was unable to sit,

stand, or walk for more than ninety minutes at a time. She also stated she

suffered from frequent drops in blood pressure which caused her to become

dizzy and lose consciousness.

After a review of the evidence, the ALT issued an opinion which found

that Boling had a 25% whole person impairment and that she could not return

to work as a physical therapist. The ALJ also concluded that Boling's RSD and

POTS were related to the work-related injury. She was awarded permanent

partial disability ("PPD") benefits based on that impairment rating. The ALJ

also awarded Boling the three multiplier pursuant to KRS 342.730(1)(c)1.

Boling and EPI both appealed the ALJ's decision to the Workers'

Compensation Board. Before the Board could issue an opinion, EPI filed a

motion to reopen Boling's award. EPI based this motion on new evidence from

Dr. Breidenbach which indicated that Boling's condition had improved and

therefore the PPD award needed to be reevaluated. The Board partially

remanded the case to the ALJ to consider the motion to reopen, but affirmed

the finding that Boling was not permanently totally disabled. The ALJ 3

subsequentlygrantedEPI'smoti ntoreopenandauniversityevaluationwas

3 Former ALJ Smith was originally assigned to this case, but was replaced by ALJ Jones after the motion to reopen was granted.

3 scheduled. However, due to several delays Dr. Nickerson, who had some

expertise on POTS, was no longer available to perform the second university

evaluation. The ALJ believed that the new university evaluator was unqualified

to render an opinion on the status of Boling's POTS and decided to move

forward with the hearing before the evaluation was performed.

Records from Dr. Breidenbach, presented by EPI at the hearing,

indicated that he now believed Boling's whole person impairment rating with

respect to her thumb injury was 0%. In rebuttal, Boling submitted a note from

Dr. Wood in which he stated that he continued to treat her for RSD and POTS,

that her condition had not improved, and that he had not released her to work.

He believed the prior impairment rating of 25% was still accurate. Boling

testified that as a result of her POTS, she experiences nausea, fainting spells,

sudden increases in blood pressure, and aggravation of the pain caused by her

RSD. She also testified that out of financial need, she returned to work part

time as a physical therapist in August 2010, but could not perform the job.

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Related

Fawbush v. Gwinn
103 S.W.3d 5 (Kentucky Supreme Court, 2003)
Square D Co. v. Tipton
862 S.W.2d 308 (Kentucky Supreme Court, 1993)
House v. BJK Industries
103 S.W.3d 13 (Kentucky Supreme Court, 2003)

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