The applicant sought statutory accident benefits following a motor vehicle accident, claiming entitlement to income replacement benefits (IRBs), various treatment plans, an award, and interest.
The respondent denied the benefits, arguing the applicant's impairments were related to pre-existing conditions and did not cause a substantial or complete inability to work.
The Tribunal applied the "but for" test and found the accident was a necessary cause of the applicant's chronic pain and psychological impairments.
The Tribunal held the applicant was entitled to IRBs for both the pre-104 and post-104 periods, finding he suffered a complete inability to engage in reasonably suited employment due to his physical limitations, age, and lack of transferable skills.
The Tribunal also approved several treatment plans for psychological, chronic pain, and functional assessments, but denied others lacking evidentiary support.
The claim for an award was dismissed as the respondent's conduct was not unreasonable, but interest was awarded on overdue benefits.