Hardy v. State ex rel. Department of Workforce Services, Workers’ Compensation Division

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In 2013, Karen Hardy was injured during the course of her employment. In 2015, Hardy sought treatment for low back pain. The Department of Workforce Services, Workers’ Compensation Division denied payment for Hardy’s medical bills. The Office of Administrative Hearings (OAH) concluded that Hardy’s injury was not compensable because Hardy had failed to prove by a preponderance of the evidence a causal connection between her 2013 work-related injury and her 2015 back injury. The district court affirmed. Hardy appealed, arguing that she was entitled to benefits under the second compensable injury rule. The Supreme Court affirmed, holding that substantial evidence supported the OAH’s conclusion that Hardy failed to demonstrate that it was more probable than not that her 2013 injury was causally related to her 2015 injury. View "Hardy v. State ex rel. Department of Workforce Services, Workers’ Compensation Division" on Justia Law