Gimple v. Student Transportation of America

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In this workers’ compensation case, the Supreme Court affirmed the compensation court’s findings that Plaintiff was entitled to benefits and that the court did not have jurisdiction to resolve issues regarding a third-party settlement but reversed the compensation court’s denial of Plaintiff’s request that she be awarded penalties, attorney fees, and interest. Plaintiff was driving a school bus when the bus was struck by a drunk driver, injuring Plaintiff. Plaintiff’s employer (Employer) paid workers’ compensation benefits for a time but refused to pay benefits when Plaintiff asserted that she was permanently disabled as a result of her injuries. The workers’ compensation court concluded (1) Plaintiff was entitled to additional benefits; (2) the court did not have jurisdiction to grant relief requested by Employer concerning a settlement that Plaintiff entered into with the third party who caused her injuries; and (3) Plaintiff was not entitled to penalties, attorney fees, and interest. The Supreme Court held that the compensation court (1) correctly concluded that it lacked jurisdiction to resolve disputes related to Plaintiff’s settlement with the third-party tortfeasor; (2) correctly found that Plaintiff was entitled to permanent partial disability benefits; but (3) was clearly wrong in denying Plaintiff penalties, attorney fees, and interest because there was no reasonable controversy regarding her entitlement to benefits. View "Gimple v. Student Transportation of America" on Justia Law