Wilkes v. City of Greenville

Plaintiff was injured while working for Defendant. The North Carolina Industrial Commission accepted Plaintiff’s claim as compensable under the Workers’ Compensation Act, and Defendant began paying Plaintiff compensation for temporary total disability. Plaintiff later filed a Form 33 requesting a medical motion hearing regarding his symptoms. The Commission concluded that Plaintiff failed to meet his burden of establishing that his anxiety and depression were a result of his work-related accident and that Plaintiff was not entitled to disability payments made after January 2011. The court of appeals (1) vacated and remanded in part, ruling that, on remand, the Commission should give Plaintiff the benefit of a presumption that his anxiety and depression were related to his injuries; and (2) reversed in part, ruling that Plaintiff had met his burden of establishing disability. The Supreme Court affirmed as modified and remanded for further proceedings, holding (1) Plaintiff was entitled a presumption of compensability in regard to his continued medical treatment; and (2) the Commission failed to address the effects of Plaintiff’s tinnitus in determining whether Plaintiff lost wage-earning capacity. View "Wilkes v. City of Greenville" on Justia Law