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The Fifth Circuit affirmed the district court's denial of Adams's habeas petition seeking credit for time served, holding that he had already received full credit against his state sentence and failed to exhaust administrative remedies regarding his concurrent sentencing argument.
This summary was generated to explain the ruling in plain English and is not legal advice.
WORKERS' COMPENSATION – PREEXISTING CONDITION – SUBSTANTIAL AGGRAVATION: The trial court did not err in its application of the substantial-aggravation standard by requiring evidence of the claimant's "pre-injury reference point." The trial court's determination that claimant's expert testimony was insufficient to establish a preexisting condition was not against the manifest weight of the evidence.
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