The applicant sought statutory accident benefits following a motor vehicle accident.
The respondent denied the benefits, arguing the applicant's injuries fell within the Minor Injury Guideline (MIG).
The applicant claimed removal from the MIG was warranted due to pre-existing conditions, a psychological impairment, and chronic pain.
The Tribunal first dismissed the respondent's motion to exclude late-filed medical evidence, finding the prejudice to the applicant outweighed that to the respondent.
On the merits, the Tribunal found the applicant failed to provide compelling medical evidence that pre-existing conditions prevented his recovery within the MIG.
Furthermore, the applicant did not substantiate his claims of psychological impairment or chronic pain with objective medical evidence.
Consequently, the Tribunal held the applicant's injuries were minor, subject to the MIG limits, and he was not entitled to the disputed treatment plans or interest.