The applicant sought statutory accident benefits following a motor vehicle accident, arguing he should be removed from the Minor Injury Guideline (MIG) due to a pre-existing shoulder condition, chronic pain, and a psychological impairment.
The Tribunal found insufficient evidence that a pre-existing condition would preclude maximal medical recovery within the MIG.
Applying the AMA Guides criteria, the Tribunal concluded the applicant did not suffer from a chronic pain condition, as medical reports indicated he had returned to full-time work and pre-accident activities without functional impairment.
The Tribunal also accepted the respondent's psychological assessment, finding no accident-related psychological diagnosis.
As the applicant's injuries were predominantly minor, he remained subject to the $3,500 MIG limit, and his claims for further assessments, interest, and an award were dismissed.