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Katherine D. Chaney v. Team Technologies, Inc.

Tenn.January 31, 2019No. E2018-00248-SC-R9-WCCited 3 times

Case Details

Judge(s)
Lee, Bivins, Clark, Kirby, Roger
Status
Published
Procedural Posture
motion to dismiss

Related Laws

No specific laws identified for this ruling.

Excerpt

The issue in this interlocutory appeal is whether an employer, who did not use an automated external defibrillator (AED) to assist an employee who suffered a non-work related medical emergency, can be liable for workers' compensation benefits. An employee collapsed at work because of a medical condition unrelated to her employment. The employer knew of the employee's need for immediate medical assistance. The employer had acquired an AED but did not use it to assist the employee while awaiting the arrival of emergency medical responders. Medical responders assisted the employee, but she suffered a brain injury because of oxygen deprivation. We hold that an injury that is caused by an employer's failure to provide reasonable medical assistance arises out of and in the course of employment when an employee becomes helpless at work because of illness or other cause unrelated to her employment, the employee needs medical assistance to prevent further injury, the employer knows of the employee's helplessness, and the employer can provide reasonable medical assistance but does not do so. Here, the employee's claim did not arise out of her employment because her employer provided reasonable medical assistance and had no statutory or common law duty to use its AED to assist the employee. Therefore, the employer is not liable for workers' compensation benefits. We reverse the trial court's denial of the employer's motion to dismiss and remand to the trial court for an order of dismissal.

What This Ruling Means

# Chaney v. Team Technologies, Inc. – Plain English Summary **What Happened** Katherine Chaney collapsed at work due to a medical condition unrelated to her job. Although Team Technologies had an automated external defibrillator (AED) available on-site, the company did not use it to help her while waiting for emergency services. Chaney then sought workers' compensation benefits for her injuries. **What the Court Decided** The Tennessee court sent the case back to the lower court for further review. The court did not make a final ruling on whether the employer could be held responsible for workers' compensation benefits when the medical emergency wasn't work-related. The case required more examination of the specific facts and applicable law. **Why This Matters for Workers** This case highlights important questions about employer responsibility during medical emergencies at work. It raises the issue of whether companies have obligations to use available safety equipment—like AEDs—even when an employee's health crisis isn't caused by the job itself. The outcome suggests courts take seriously what employers do (or don't do) to help workers in distress.

This summary was generated to explain the ruling in plain English and is not legal advice.

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