ALAN N. BLOCH, District Judge.
AND NOW, this 17
IT IS HEREBY ORDERED that said Motion is DENIED.
AND, further, upon consideration of Plaintiff's Motion for Summary Judgment (Doc. No. 10), filed in the above-captioned matter on April 29, 2019,
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 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.
On July 14, 2015, Plaintiff James P. Razey filed a claim for disability insurance benefits under Title II of the Social Security Act, 42 U.S.C. §§ 401
After being denied initially on September 10, 2015, Plaintiff sought, and obtained, a hearing before an Administrative Law Judge ("ALJ") on November 13, 2017. (R. 28-51). In a decision dated January 29, 2018, the ALJ denied Plaintiff's request for benefits. (R. 13-24). The Appeals Council declined to review the ALJ's decision on November 6, 2018. (R. 1-6). Plaintiff filed a timely appeal with this Court, and the parties have filed cross-motions for summary judgment.
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 the present case, the ALJ found that Plaintiff had not been engaged in substantial gainful activity since May 10, 2015. (R. 15). The ALJ also found that Plaintiff met the second requirement of the process insofar as he had certain severe impairments, specifically, epilepsy and alcohol dependence. (R. 15). The ALJ further concluded that Plaintiff's impairments did not meet any of the Listings that would satisfy Step Three. (R. 17).
The ALJ next found that Plaintiff retained the RFC to perform a full range of work at all exertional levels, except he must avoid all exposure to dangerous machinery and unprotected heights, cannot perform jobs requiring use of a motor vehicle or other motorized vehicles, and can do simple, unskilled work. (R. 17). At Step Four, the ALJ found that Plaintiff was unable to perform any past relevant work, so he moved on to Step Five. (R. 22). 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, based on Plaintiff's age, education, work experience, and RFC, Plaintiff could perform jobs that exist in significant numbers in the national economy, such as bagger, dining room attendant, and hand packager. (R. 23). Accordingly, the ALJ found that Plaintiff was not disabled. (R. 23).
Plaintiff raises several arguments as to why he believes that the ALJ erred in finding him to be not disabled. While the Court does not fully agree with the arguments set forth by Plaintiff, it does agree that remand is warranted in this case. Plaintiff argues, in part, that the ALJ impermissibly excluded probative evidence from the record without considering whether good cause existed for the late submission of such evidence. Plaintiff further contends that, by rejecting such relevant evidence, the ALJ's findings at Step 2, his RFC assessment, and his credibility findings were all impacted. Upon review, the Court finds that, because the ALJ failed to explain the rationale for his decision to exclude the evidence at issue, the Court cannot determine whether the ALJ properly excluded such evidence and thus whether he considered all relevant evidence in reaching his decision. The Court, therefore, cannot find that the ALJ's decision is supported by substantial evidence, and will, accordingly, remand the case for further consideration.
In the introductory section of his decision, the ALJ cited to 20 C.F.R. § 404.935(a) and explained that "[i]f the claimant wishes that written evidence be considered at the hearing, then the claimant must submit or inform the [ALJ] about the evidence no later than five business days before the date of the scheduled hearing." (R. 13). The ALJ then stated that, pursuant to 20 C.F.R. § 404.935(b), if the claimant misses this deadline but submits or informs the ALJ about written evidence before the hearing decision is issued, he will accept the evidence if:
(R. 13).
The ALJ noted that Plaintiff had submitted or informed him about additional written evidence less than five days before the hearing date, but that he had declined to admit this evidence "because the requirements of 20 CFR 404.935(b) [were] not met." (R. 13).
When discussing the severity of Plaintiff's impairments at Step Two of his analysis, the ALJ explained that Plaintiff claimed to have shoulder problems, "[h]owever, there is no medical evidence of any shoulder impairment." (R. 16). The ALJ then clarified that Plaintiff had actually submitted medical records from Champion Orthopedics (which concerned treatment of Plaintiff's shoulder problems), but that those records were not admitted into evidence because Plaintiff's counsel "did not submit or inform the Administrative Law Judge about the evidence no later than five business days before the date of the scheduled hearing." (R. 16).
The Court notes that the transcript of the administrative hearing reveals the entirety of the ALJ's consideration of whether to admit such records. In response to the ALJ's questioning about impairments that limit his ability to work, Plaintiff discussed his shoulder problems and referred to his "bone doctor." (R. 32-33). The ALJ asked for clarification, and Plaintiff supplied the name of the practice where he had been treated:
(R. 33).
The ALJ did not question Plaintiff's counsel about when such evidence had been requested or whether Plaintiff's counsel had encountered difficulty in obtaining the evidence, nor did the ALJ engage in any further discussion of the evidence. Moreover, at the end of the hearing, the ALJ emphasized, "All right, the hearing is closed. The record was closed earlier." (R. 50-51). Nevertheless, Plaintiff's counsel submitted the treatment records from Champion Orthopedics on December 20, 2017. (R. 52-59). The ALJ issued his decision over a month later, on January 29, 2018, and did not include the later submitted evidence in the record.
The ALJ correctly explained in his decision that a claimant generally must inform the ALJ about evidence or provide evidence to the ALJ five days before the scheduled hearing date.
Here, when Plaintiff's counsel informed the ALJ that he had recently learned about certain medical records and that they were "waiting on" them at the time of the hearing, the ALJ flatly stated that he would not allow them to be admitted because the five-day period had passed. (R. 33). The ALJ asked no questions about the circumstances surrounding the request for such records. In his decision, the ALJ then stated that Plaintiff submitted or informed the ALJ about additional written evidence less than five days before the scheduled hearing date. The ALJ declined to admit such evidence, stating that the "requirements" (the correct term is actually "circumstances") of Section 404.935(b) were not met. As the ALJ cut off further discussion of the evidence, it is not apparent to the Court how he could have known that none of the circumstances described in Section 404.935(b) existed. And, as the ALJ failed to explain how he determined that none of those circumstances existed, it is not apparent to the Court whether the ALJ properly excluded such evidence from the record and, thus, from his consideration.
Moreover, the Court cannot find that—if the ALJ did err in excluding such evidence— the failure to admit such evidence constituted harmless error. The evidence that the ALJ rejected contained treatment records for Plaintiff's shoulder issues. The ALJ did not find that Plaintiff to had a severe shoulder impairment, nor does the RFC in this case contain any exertional limitations. More specifically, the RFC includes no limitations related to lifting, carrying, pushing or pulling, or other limitations that would be expected to be included if a shoulder impairment was present. Since such additional limitations could have significantly impacted the occupational base for the types of work that Plaintiff could perform, a finding that Plaintiff had such limitations could have affected the ultimate outcome in this case.
Thus, the ALJ erred in providing no discussion of, or explanation for, his determination that no special circumstances set forth in 20 C.F.R. § 404.935(b) existed in this case. Because it is not clear to the Court that the ALJ properly refused to admit the evidence at issue, the Court also finds that the ALJ's decision is not supported by substantial evidence. While the ALJ is certainly permitted to exclude later submitted evidence from the record, the Court finds that the ALJ's justification for his decision to do so in this case is simply insufficient. Thus, remand is required to allow for further discussion as to the ALJ's decision whether or not to exclude the evidence at issue. Further, the ALJ should verify that his conclusions concerning the severity of Plaintiff's impairments and Plaintiff's RFC—as well as his findings regarding the credibility of all of Plaintiff's symptoms—are fully explained, in order to eliminate the need for any future remand.
In short, because the ALJ failed to provide an adequate explanation for his decision to exclude the above-referenced medical evidence from the record, the Court cannot find that the ALJ properly excluded such evidence. Further, because the Court cannot find that the ALJ considered all relevant evidence in this case, and because failure to consider relevant evidence could have impacted the ALJ's findings, including his findings regarding the severity of Plaintiff's impairments, his credibility, and his RFC, the Court finds that substantial evidence does not support the ALJ's ultimate decision in this case. The Court hereby remands this case to the ALJ for reconsideration consistent with this Order.