Aguirre v. Industrial Commission of Arizona
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The Supreme Court set aside an administrative law judge's (ALJ) denial of Gilbert Aguirre's workers' compensation claim for benefits, holding that a claimant does not waive appellate review of the legally sufficiency of findings before the Industrial Commission of Arizona (ICA).
In Post v. Industrial Commission of Arizona, 160 Ariz. 4, 7-9 (1989), the Supreme Court held that when an ALJ fails to make findings on all material issues necessary to resolve the case the award is legally deficient and must be set aside. In this case, after an ALJ denied Aguirre's claim for benefits he filed a request for administrative review. In his request, Aguirre did not specifically challenge the ALJ's failure to make material findings as required by Post. The ALJ summarily affirmed the award. The court of appeals set aside the award based on the absence of legally-sufficient findings. At issue on appeal was whether, because Aguirre did not challenge the lack of material findings required by Post in his request for review, Appellant waived appellate review on that issue. The Supreme Court disagreed, holding that the ALJ's award was legally deficient and must be set aside regardless of whether Aguirre raised the issue.
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