Quantcast
Channel: U.S. Federal Circuit Court of Appeals – Justia Injury Law Opinion Summaries
Viewing all articles
Browse latest Browse all 20

Spicer v. Shinseki

$
0
0

Spicer served on active duty in the Navy from 1984 until 1987. In 1986, Spicer fractured his left little finger when a door closed on his hand while aboard ship. The fracture required surgery, which resulted in the finger joint fusing. In 2007, a VA examiner diagnosed Spicer as having degenerative arthritis of the distal interphalangeal joint in that finger. A VA regional office denied Spicer a compensable rating. The Board of Veterans’ Appeals found that although Spicer’s left finger disability was manifested by pain and limitation of motion, he failed to meet the criteria for a compensable evaluation for a left finger disability under either Diagnostic Code (DC) 5227 or 5230. The Veterans Court rejected Spicer’s argument that DC 5003 assigns a 10% rating for either a single affected major joint or a group of affected minor joints and that 38 C.F.R. 4.45(f) does not mandate that multiple minor joints be involved. The Veterans Court stated that “the DIP joint is not a major joint or minor joint group for the purpose of rating disabilities from arthritis.” The Federal Circuit affirmed.
View "Spicer v. Shinseki" on Justia Law

The post Spicer v. Shinseki appeared first on Justia Injury Law Opinion Summaries.


Viewing all articles
Browse latest Browse all 20

Latest Images

Trending Articles





Latest Images