The appellant appealed a decision of the License Appeal Tribunal which found that his injuries from a motor vehicle accident fell within the Minor Injury Guideline under the Statutory Accident Benefits Schedule.
The adjudicator preferred the objective medical evidence of the respondent's experts over the self-reported evidence of the appellant's treating physicians, noting credibility issues with the appellant.
The Divisional Court held that the adjudicator properly applied the law and that the decision was reasonable.
The appeal was dismissed with costs fixed at $5,000.