Appeal of Katherine Streeter

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Petitioner Katherine Streeter appealed a New Hampshire Compensation Appeals Board (board) order denying her request for attorney’s fees under New Hampshire Administrative Rules, Lab 207.01(a)(4). In 2013, Streeter injured her left shoulder at work. She notified her employer and the employer filed a First Report of Injury with its insurance carrier the next day. Streeter would ultimately be diagnosed with tendonitis and referred for physical therapy. She received a steroid injection and was unable to work for two weeks, during which time the employer’s insurance carrier paid indemnity benefits. Streeter was awarded “payment of her medical treatment associated with this case, including, but not limited to, her surgery and physical therapy treatment . . . [and] indemnity benefits at the temporary total disability rate” from May through August 2014. Streeter’s attorney was awarded 20% of the retroactive indemnity award, pursuant to New Hampshire Administrative Rules, Lab 207.01(a)(1). Thereafter, her attorney requested additional fees. The hearing officer denied the request, finding that Streeter’s attorney was entitled only to 20% of the retroactive award and, thus, her “request for legal fees relative to the award of medical benefits [was] inappropriate under these circumstances.” On appeal, Streeter argued that “by paying benefits voluntarily after 21 days after notification of the claim,” the employer’s insurance carrier made a “de facto” determination pursuant to New Hampshire Administrative Rules, Lab 506.02 that her injury was compensable. After review, the Supreme Court determined that Streeter’s attorney was entitled only to “20% of the retroactive indemnity benefits payable out of the benefit received.” N.H. Admin. Rules, Lab 207.01(a)(1). View "Appeal of Katherine Streeter" on Justia Law