George v. Astrue, No. 11-6108 (10th Cir. 2011)
Annotate this CaseAfter developing pain in his neck and shoulders, Petitioner Gordon George was diagnosed with cancer in 2003 and underwent surgery and radiotherapy. During his recovery, he continued to experience pain spanning from his neck to his shoulder and arm. Petitioner applied for disability and supplemental security income benefits. After many and various hearings, an administrative law judge (ALJ) concluded that for the period June 1, 2003 through July 31, 2005, Petitioner was disabled during that period. But the ALJ further found that Petitioner's condition improved dramatically over time and that by August 1, 2005, he no longer met any disability listing. The Appeals Council denied review, making the ALJ's decision final. On appeal to the Tenth Circuit, Petitioner raised several challenges to the ALJ's determination that he suffered no legally cognizable disability after August 2005. Upon review, the Court rejected all those challenges, and affirmed for substantially the reasons given by the district court, with one exception. The Court found that the ALJ erred by failing to consider whether, after August 1, 2005, Petitioner suffered from a mental disability. In our case, by contrast, the ALJ has not made any factual findings "one way or the other" about the existence, severity, or functional limitations, if any, imposed by Petitioner's mental condition: "[i]t's entirely possible the ALJ on remand will find Mr. George's mental health issues have no impact on his ability to work." The Court remanded the case to the district court for further proceedings.
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