ERIC F. MELGREN, District Judge.
Plaintiff Jessica Kelly seeks review of a final decision by Defendant, the Commissioner of Social Security ("Commissioner"), denying her application for disability insurance benefits and supplemental security income under Titles II and XVI of the Social Security Act ("the Act"). Kelly alleges that the administrative law judge ("ALJ") erred in assessing her residual functioning capacity ("RFC") and in failing to properly assess her credibility. Finding that the ALJ failed to adequately explain her reasons for not adopting a limitation contained in a medical expert's opinion, the Court reverses the decision of the Commissioner and remands for further consideration.
Kelly was 21 years old on her alleged disability onset date, September 17, 2008. She has a high school education with some college. She previously worked as a receptionist, chiropractic assistant, and media specialist, but has not engaged in substantial gainful activity since her alleged onset date. In October of 2012, she applied for disability insurance benefits and supplemental security income.
Kelly's relevant medical history dates to 2008 when, while pregnant with her daughter, she underwent a procedure to remove a kidney stone and insert a ureteral stent. Shortly after she gave birth, doctors removed the stent and performed a cystoscopy. Following these procedures, Kelly developed interstitial cystitis
Kelly attended three hearings before ALJ Christine Cooke in 2014 and 2015. At the last of these hearings, Dr. Chukwuemeka Ezike testified as a medical expert and gave his opinion of Kelly's RFC. He concluded that she was capable of lifting 20 pounds occasionally and ten pounds frequently, sit for six hours in an eight-hour day, stand and walk for six hours in an eight-hour day, and occasionally climb stairs and ramps. He further stated that she could occasionally stoop, kneel, crouch, and crawl, but never climb ladders, ropes, or scaffolds, and that she should avoid hazards (heights, moving machinery, and extreme cold). Finally, he stated that she would possibly need unscheduled breaks.
With one exception, the ALJ adopted Dr. Ezike's conclusions almost verbatim when she assessed Kelly's RFC. The ALJ did not include Dr. Ezike's limitation that Kelly would need to be allowed to take unscheduled breaks due to her interstitial cystitis. The ALJ also included mental limitations; limited Kelly to an indoor work environment, free from exposure to extreme cold, extreme heat, wetness, humidity, fumes, odors, dust, or airborne particulate; and specified that Kelly needed reasonable access to a restroom facility.
After concluding that Kelly could not perform her past relevant work, the ALJ found that Kelly could perform other jobs that existed in the national economy, and was therefore not disabled. Kelly appealed that determination to the Appeals Council. The Appeals Council denied review, rendering the ALJ's decision the final decision of the Commissioner. Kelly timely filed her complaint challenging that decision in this Court.
Judicial review of the Commissioner's decision is guided by the Act, which provides that the findings of the Commissioner as to any fact, if supported by substantial evidence, shall be conclusive.
An individual is under a disability only if she can "establish that she has a physical or mental impairment which prevents her from engaging in substantial gainful activity and is expected to result in death or to last for a continuous period of at least twelve months."
Pursuant to the Act, the Social Security Administration has established a five-step sequential evaluation process for determining whether an individual is disabled.
The first three steps of the sequential evaluation require the ALJ to assess: (1) whether the claimant has engaged in substantial gainful activity since the onset of the alleged disability; (2) whether the claimant has a severe, or combination of severe, impairments; and (3) whether the severity of those severe impairments meets or equals a designated list of impairments.
Upon assessing the claimant's RFC, the ALJ moves on to steps four and five, which require the ALJ to determine whether the claimant can perform her past relevant work, and if not, then whether she can generally perform other work that exists in the national economy.
Kelly challenges the Commissioner's decision on two fronts. First, she argues that the ALJ improperly assessed her RFC by affording "great weight" to the medical opinion of Dr. Ezike, but then failing to explain why she did not incorporate Dr. Ezike's limitation of unscheduled breaks into her assessment of Kelly's RFC. Second, Kelly argues that the ALJ failed to conduct the proper credibility analysis of Kelly's statements about the limiting effects of her disorders. Because the Court agrees with Kelly's first argument, the Court reverses and remands the case without deciding the second issue, although Kelly raises serious concerns about the ALJ's handling of her credibility, which the ALJ should address on remand.
Kelly's first argument is that the ALJ, in assessing her RFC, failed to account for the unscheduled breaks that Dr. Ezike determined Kelly may need to take during the work day. Kelly argues that the ALJ should have included the need for breaks in her RFC determination because she afforded Dr. Ezike's opinion great weight and did not explicitly discount that specific limitation. Kelly argues that, had the ALJ included the need for breaks in Kelly's RFC, the vocational expert ("VE") would have testified that Kelly could not work any job existing in the national economy. Indeed, the ALJ asked the VE at the final hearing whether any jobs existed for an individual with the RFC assessed by the ALJ, plus the need to take up to five additional ten-minute breaks, and the VE said that no such jobs exist.
The Commissioner counters that the ALJ was not obligated to adopt Dr. Ezike's opinion in its entirety because she accorded it "great weight," not "controlling weight." And even if the ALJ was required to adopt Dr. Ezike's limitation of extra breaks, the ALJ did so by specifying that Kelly would need reasonable access to a restroom facility. According to the Commissioner, Dr. Ezike's opinion regarding unscheduled breaks stemmed from Kelly's interstitial cystitis causing her to frequently and urgently need to urinate. The ALJ's "reasonable access to a restroom" limitation addresses this symptom of interstitial cystitis as adequately as Dr. Ezike's "unscheduled breaks" limitation does. Therefore, according to the Commissioner, the ALJ's RFC determination was not deficient.
When assessing a claimant's RFC, the ALJ is required to consider and address all of the medical opinions.
While it is clear that "[t]he ALJ may not pick and choose which aspects of an uncontradicted medical opinion to believe, relying on only those parts favorable to a finding of nondisability,"
The Court "may not create or adopt post-hoc rationalizations to support the ALJ's decision that are not apparent from the ALJ's decision itself."
Kelly's second claim is that the ALJ erred in assessing Kelly's subjective complaints about her symptoms. She alleges that the ALJ attempted to explain her decision on this point with unsupported and conclusory statements. According to Kelly, the ALJ failed to follow the proper procedure for assessing credibility, expressed in Musgrave v. Sullivan.
Because the Court is already reversing and remanding this case on the basis of Kelly's first claim, it is unnecessary to decide this issue at this time. However, Kelly raises serious questions about the method employed by the ALJ to assess her credibility. On remand, the ALJ should address this issue and explain her conclusions about Kelly's credibility with more detail, following the procedures laid out by the regulations and Tenth Circuit case law.