ALAN N. BLOCH, District Judge.
AND NOW, this 29th day of September, 2017, upon consideration of Defendant's Motion for Summary Judgment (Doc. No. 10) filed in the above-captioned matter on January 26, 2017,
IT IS HEREBY ORDERED that said Motion is DENIED.
AND, further, upon consideration of Plaintiff's Motion for Summary Judgment (Doc. No. 7) filed in the above-captioned matter on December 28, 2016,
IT IS HEREBY ORDERED that said Motion is GRANTED IN PART and DENIED IN PART. Specifically, Plaintiff's Motion is granted to the extent that it seeks a remand to the Commissioner of Social Security ("Commissioner") for further evaluation as set forth below, and denied in all other respects. Accordingly, this matter is hereby remanded to the Commissioner for further evaluation under sentence four of 42 U.S.C. § 405(g) in light of this Order.
Plaintiff, Christopher Jude Clark Wheeler, protectively filed a claim for Supplemental Security Income under Title XVI of the Social Security Act (the "Act"), 42 U.S.C. §§ 1381-1383f, effective July 14, 2014, claiming that he became disabled on June 15, 2003,
Judicial review of a social security case is based upon the pleadings and the transcript of the record.
"Substantial evidence" is defined as "`more than a mere scintilla. It means such relevant evidence as a reasonable mind might accept as adequate'" to support a conclusion.
A disability is established when the claimant can demonstrate some medically determinable basis for an impairment that prevents him or her from engaging in any substantial gainful activity for a statutory twelve-month period.
The Social Security Administration has promulgated regulations incorporating a five-step sequential evaluation process for determining whether a claimant is under a disability as defined by the Act.
Step Four requires the ALJ to consider whether the claimant retains the residual functional capacity ("RFC") to perform his or her past relevant work,
At this stage, the burden of production shifts to the Commissioner, who must demonstrate that the claimant is capable of performing other available work in the national economy in order to deny a claim of disability.
In addition, in cases where an ALJ finds that there is medical evidence that a claimant has a substance abuse disorder, he or she must also determine whether the substance abuse is a contributing factor material to the determination of disability. If the ALJ finds that it is, the claimant shall be considered to be not disabled.
In his March 2, 2016 decision, the ALJ applied the sequential evaluation process in reviewing Plaintiff's claim for benefits. In particular, the ALJ found that Plaintiff had not been engaged in substantial gainful activity since the application date of July 14, 2014. (R. 25). The ALJ also found that Plaintiff met the second requirement of the sequential evaluation process insofar as he had the following severe impairments: "alcohol abuse, liver cirrhosis, status post inguinal and ventral hernia repairs, spinal arthritis, and bilateral hip arthritis." (R. 25).
At Step Three, the ALJ concluded that Plaintiff's liver cirrhosis,
The ALJ went on to find that Plaintiff, absent substance abuse, retained the RFC to perform sedentary work except that he could only occasionally climb, balance, stoop, kneel, crouch, or crawl. (R. 28-29). After finding that Plaintiff had no past relevant work, the ALJ moved on to Step Five. (R. 29). At Step Five, the ALJ then used a vocational expert ("VE") to determine whether or not a significant number of jobs existed in the national economy that Plaintiff could perform. The VE testified that, given Plaintiff's age, education, work experience, and RFC, Plaintiff could perform jobs that exist in significant numbers in the national economy, such as document preparer, envelope and small package addresser, and surveillance system monitor. (R. 30). Accordingly, the ALJ found that Plaintiff was not disabled because he found Plaintiff's substance use disorder to be a contributing factor material to the determination of disability. (R. 31).
It is very important in this case to remember what is and what is not at issue. The ALJ found that Plaintiff's liver cirrhosis, including Plaintiff's substance abuse disorder, would meet the requirements of Listing 5.05(B), 20 C.F.R., Part 404, Subpart P, App. 1. (R. 25). He then went on to find that if Plaintiff stopped abusing alcohol, his liver condition would no longer meet that listing. (R. 27-28). The issue, therefore, is not whether Plaintiff's cirrhosis itself would resolve if he ceased using alcohol or even whether alcohol could cause further decompensation of his condition. The issue is whether, absent substance abuse, Plaintiff's cirrhosis would still meet Listing 5.05(B). The Court finds the ALJ's explanation as to why he found that it would not to be inadequate and therefore finds that substantial evidence does not support his decision.
As noted above, the ALJ found that there was medical evidence that Plaintiff had a substance use disorder, specifically alcohol abuse (R. 25), and there seems to be little dispute as to this point. Pursuant to 42 U.S.C. § 1382c(a)(3)(J) and 20 C.F.R. § 416.935, where, as here, an ALJ finds that there is medical evidence that a claimant has a substance abuse disorder, the issue for consideration is whether the substance abuse is a contributing factor material to the determination of disability. The "key factor" in determining whether drug or alcohol addiction is material to a determination of disability is whether the claimant would still be found to be disabled if he or she stopped using the substance.
The ALJ in this case properly first considered whether Plaintiff would be disabled even with his alcohol abuse. As discussed, he found that Plaintiff's liver cirrhosis would meet Listing 5.05(B) under such circumstances, and that, accordingly, Plaintiff would be disabled. He then found that if Plaintiff stopped his alcohol abuse, he would no longer meet that listing, and went on, therefore, to Steps Four and Five of the sequential process. Ultimately, he found that Plaintiff would no longer be disabled if he stopped drinking. However, the ALJ's discussion on these points fails to address the very specific issues involved in a finding that a liver condition meets Listing 5.05(B).
To meet Listing 5.05, a claimant must demonstrate chronic liver disease with at least one of seven additional clinical findings. Here, the ALJ found that Plaintiff had liver cirrhosis, and that subsection (B) applied, were Plaintiff to continue to abuse alcohol. This subsection provides that the claimant, in addition to the chronic liver disease, must demonstrate:
The issue, then, is whether Plaintiff would still meet Listing 5.05(B) were he to stop abusing alcohol. This would require a finding that, if Plaintiff ceased his behavior, he would no longer have ascites sufficient to meet the criteria set forth in the listing. The ALJ found that Plaintiff's "treatment providers have attributed his liver disease decompensation to his alcohol use," and that "absent alcohol abuse, he would not experience chronic liver disease decompensation with recurring ascites, as described in 5.05B." (R. 28). While there is some truth to the first of these statements, it is not clear that the second statement follows from the first. The ALJ accurately pointed to the places in the record where Plaintiff's doctors stated that Plaintiff's alcohol use contributed to his cirrhosis and to the decompensation of his condition, but none of the evidence to which he cited directly supports a finding that Plaintiff would no longer experience ascites at the required levels if he ceased using/abusing alcohol. (R. 377, 411, 442, 444, 446, 923). Although it is clear that his treating physicians believed that Plaintiff's cirrhosis and his alcohol use are related, and that they strongly encouraged him to stop using alcohol, none offered any specific opinion or diagnosis as to how ending his use of alcohol would specifically affect the decompensation of his condition. The ALJ's conclusion that Plaintiff's ascites would cease along with his alcohol use simply goes a step beyond the medical findings.
It is not surprising to find the issues of cirrhosis of the liver and alcoholism to be intertwined in a disability case. Indeed, the Social Security Administration itself discusses the relationship between drug or alcohol addiction and cirrhosis in Social Security Ruling 13-2p, 2013 WL 621536 (S.S.A.) (Feb. 20, 2013). In discussing the materiality element, the Administration states that if drug or alcohol addiction is not causing or does not affect the claimant's other impairments to the point where the other impairments could be found to be non-disabling in the absence of the addiction, the addiction is not material and the claim should be allowed.
There is little question that Plaintiff's continued use of alcohol has not helped his cirrhosis. It seems to be equally clear that his cirrhosis will not go away if he stops drinking. But the issue that specifically needs to be discussed and decided is whether the frequency or intensity of Plaintiff's ascites would change if he stopped drinking. Often, the most useful evidence in cases involving substance use disorder is evidence relating to periods when the individual was not using drugs/alcohol.
The issue here is a specific and technical one that simply requires a more focused analysis before the Court is able to determine whether substantial evidence supports the ALJ's finding at Step Three that, setting aside Plaintiff's alcohol abuse, he would not meet Listing 5.05. On remand, the ALJ should reconsider the issue with more specificity. The Court expresses no opinion as to whether the ALJ's Step Three finding could be supported by the record; it is the need for additional explanation by the ALJ that necessitates a remand in this case. As such, the record does not permit the Court to reverse and remand the case for an award of benefits.
In short, the record does not permit the Court to determine whether the findings of the ALJ regarding the impact of Plaintiff's substance abuse disorder on his disability are supported by substantial evidence, and, accordingly, the Court finds that substantial evidence does not support the ALJ's decision in this case. The Court hereby remands the case to the Commissioner for reconsideration consistent with this Order.