Opinion · Court of Appeals for the Seventh Circuit

Clint Smith v. Kenneth Apfel, Commissioner of Social Security

Clint Smith v. Kenneth Apfel, Comm’r of Soc. Sec., 231 F.3d 433 (7th Cir. 2000)

Type
Opinion
Court
Court of Appeals for the Seventh Circuit
Jurisdiction
Federal
Date
2000-11-03
Topic
general

finding that the ALJ’s duty to develop the record included soliciting updated medical records when the ALJ did not afford the treating doctor's opinion controlling weight on that basis | finding that the ALJ’s duty to develop the record included soliciting updated medical rec- ords when the ALJ did not afford the treating doctor’s opinion controlling weight on that basis | finding ALJ failed to adequately develop the record, even though claimant was represented by counsel | remanding where ALJ discounted severity of claimant's arthritis in Stage v. Colvin, 812 F.3d 1121 (7th Cir. 2016 | remanding after ALJ rejected severity of claimant’s arthritis symptoms without ordering new x-rays | remanding where ALJ discounted severity of claimant’s arthritis without ordering new diagnostic tests | ALJ’s failure to consider contrary evidence “alone precludes us from ‘evaluat[ing] . . . whether substantial evidence existed to support the ALJ’s finding’” | “[A]n ALJ may consider the lack of medical evidence as probative of the claimant's credibility.” | “If the ALJ was concerned that the medical evidence was insufficient to determine whether Mr. Smith was disabled, he should have ordered more recent X-rays” | ALJ should gather additional medical evidence if he believes that the evidence of record is insufficient to enable him to make a disability determination | “Although a claimant has the burden to prove disability, the ALJ has a duty to develop a full and fair record.” | “If the ALJ was concerned that the medical evidence was insufficient to determine whether Mr. Smith was disabled, he should have ordered more recent X-rays.”

Citator

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