Jennifer Moore v. Carolyn Colvin

743 F.3d 1118, 2014 WL 763223, 2014 U.S. App. LEXIS 3727
CourtCourt of Appeals for the Seventh Circuit
DecidedFebruary 27, 2014
Docket13-2460
StatusPublished
Cited by902 cases

This text of 743 F.3d 1118 (Jennifer Moore v. Carolyn Colvin) is published on Counsel Stack Legal Research, covering Court of Appeals for the Seventh Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Jennifer Moore v. Carolyn Colvin, 743 F.3d 1118, 2014 WL 763223, 2014 U.S. App. LEXIS 3727 (7th Cir. 2014).

Opinion

ROVNER, Circuit Judge.

Jennifer Lee Moore filed an application for disability benefits under the Social Security Act, alleging that she became disabled on September 6, 2007. After a hearing, an Administrative Law Judge (ALJ) concluded that Moore suffered from a number of severe impairments, but that she was capable of performing her past work and therefore was not entitled to disability benefits. The district court affirmed, and Moore appeals that determination to this court.

When the Appeals Council denies review as it did in this case, the ALJ’s decision constitutes the final decision of the Commissioner. Villano v. Astrue, 556 F.3d 558, 561-62 (7th Cir.2009). Because our review of the district court’s affir-mance is de novo, we review the ALJ’s decision directly. Pepper v. Colvin, 712 F.3d 351, 361 (7th Cir.2013). We will uphold the ALJ’s decision if it is supported by substantial evidence, that is, “such rele *1121 vant evidence as a reasonable mind might accept as adequate to support a conclusion.” Richardson v. Perales, 402 U.S. 389, 401, 91 S.Ct. 1420, 28 L.Ed.2d 842 (1971); McKinzey v. Astrue, 641 F.3d 884, 889 (7th Cir.2011); Scott v. Astrue, 647 F.3d 734, 739 (7th Cir.2011); Pepper, 712 F.3d at 361-62. Although we will not reweigh the evidence or substitute our own judgment for that of the ALJ, we will examine the ALJ’s decision to determine whether it reflects a logical bridge from the evidence to the conclusions sufficient to allow us, as a reviewing court, to assess the validity of the agency’s ultimate findings and afford Moore meaningful judicial review. Young v. Barnhart, 362 F.3d 995, 1002 (7th Cir.2004); Roddy v. Astrue, 705 F.3d 631, 636 (7th Cir.2013); Pepper, 712 F.3d at 362; Villano, 556 F.3d at 562. A decision that lacks adequate discussion of the issues will be remanded. Id.

In determining whether a person is disabled, an ALJ applies a five-step sequential evaluation process. At step one, the ALJ considers whether the claimant is engaged in substantial gainful activity. 20 C.F.R. §§ 404.1520(b) and 416.920(b). Moore was not so engaged, and therefore the analysis proceeds to the second step, which is a consideration of whether the claimant has a medically determinable impairment, or combination of impairments, that is “severe.” 20 C.F.R. §§ 404.1520(c) and 416.920(c).

In order for an impairment to be considered severe at this step of the process, the impairment must significantly limit an individual’s ability to perform basic work activities. If the evidence indicates that an impairment is a slight abnormality that has no more than a minimal effect on an individual’s ability to work, then it is not considered severe for Step 2 purposes. Here, the ALJ determined that Moore had the following severe impairments: migraine headaches; asthma; morbid obesity; and rheumatoid arthritis. The ALJ concluded that those impairments imposed more than minimal limitations on Moore’s ability to perform basic work-related activities. The ALJ concluded that a number of other impairments impacting Moore were not severe, including irritable bowel syndrome, gastroeso-phageal reflux disease, hypertension, hypothyroid and prolactin irregularities, carpal tunnel syndrome, depression, anxiety, and possible Crohn’s disease.

At Step 3, the ALJ determined that those severe impairments did not meet or equal the criteria of an impairment listed in 20 C.F.R. Part 404, Subpart P, Appendix 1. Accordingly, the ALJ proceeded to Step 4, at which point the claimant has the burden to demonstrate whether she is capable of performing her past relevant work. Young, 362 F.3d at 1000. At this stage, the ALJ first considers the claimant’s residual functional capacity (RFC), which is the claimant’s ability to do physical and mental work activities on a regular and continuing basis despite limitations from her impairments. Id.; Pepper, 712 F.3d at 362. The ALJ concluded that Moore had the residual functional capacity to perform sedentary work as defined in 20 C.F.R. §§ 404.1567(a) and 416.967(a) except that she must avoid concentrated exposure to extreme cold, extreme heat, noise, fumes, odors, dusts, gases, poor ventilation, hazardous machinery, and heights. The ALJ’s calculations of Moore’s RFC, and the ultimate determination at Step 4 that Moore could perform her past relevant work as a reservation agent, is the focus of the challenge in this appeal.

Moore argues on appeal that the ALJ erred at Step 4 in determining the limitations and restrictions imposed upon Moore’s work by her chronic migraines, and that the ALJ also erred in her credibility assessment of Moore. The ALJ’s *1122 RFC determination in this case, and the limitations presented to the vocational expert that followed from that determination, are conclusory and aré based on findings that failed to address the record as a whole. Accordingly, a remand is necessary.

The ALJ acknowledged her obligation to evaluate the intensity, persistence, and limiting effects of symptoms of Moore’s impairments including the chronic migraines, and to determine the degree of effect on functioning. In calculating that residual functional capacity, she stated that whenever statements concerning the intensity, persistence or functionally limiting effects of pain or other symptoms are not substantiated by objective medical evidence, she must make a finding concerning the credibility of the statements based upon the evidence in the record as a whole. The ALJ then noted that Moore maintained that her migraines are debilitating, and cause her to stay in bed much of the day, render her unable to deal with light and sound, and result in a heightened sense of smell that aggravates her nausea and headaches. Using “boilerplate” language often included in disability determinations, the ALJ then concluded: “[ajfter careful consideration of the evidence, I find that the claimant’s medically determinable impairments could reasonably be expected to cause the alleged symptoms; however, the claimant’s statements concerning the intensity, persistence and limiting effects of these symptoms are not credible to the extent they are inconsistent with the above residual functional capacity assessment.”

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Cite This Page — Counsel Stack

Bluebook (online)
743 F.3d 1118, 2014 WL 763223, 2014 U.S. App. LEXIS 3727, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jennifer-moore-v-carolyn-colvin-ca7-2014.