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Dennis Robinson v. Nancy Berryhill
690 F. App'x 520
9th Cir.
2017
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Background

  • Dennis J. Robinson appealed the district court’s affirmance of an ALJ denial of Social Security disability benefits; Ninth Circuit affirmed.
  • ALJ initially found Robinson disabled when substance use was considered, then found his substance abuse materially contributed to the disability, which mandates a denial under the statutory scheme.
  • Medical record included conflicting opinions: treating/examining physicians (e.g., Dr. Lykins, Dr. Kodner) and other clinicians who attributed impairments to substance abuse; a non‑examining psychologist (Dr. Donahue) concluded disorder was primarily substance‑induced.
  • ALJ assigned varying weight to medical opinions: gave Dr. Lykins “good weight” but discounted parts as inconsistent with later records; did not discuss Dr. Kodner’s report.
  • ALJ discounted Robinson’s subjective testimony for specific, clear, and convincing reasons (daily activities, inconsistent statements about drug use, ability to tolerate limited interaction and non‑focused tasks).
  • Dissent argued the ALJ erred by ignoring Dr. Kodner’s report and that the error was not harmless; would have remanded for further proceedings.

Issues

Issue Plaintiff's Argument Defendant's Argument Held
Whether ALJ followed the correct stepwise analysis for substance‑abuse cases Robinson argued the ALJ failed to properly evaluate whether his disability would remain absent substance use Commissioner argued ALJ followed regulations and SSR guidance: found disabled with substance use, then found substance abuse material Affirmed: ALJ followed required steps and applied the correct framework
Whether ALJ properly weighed treating/examining medical opinions (Dr. Lykins, Dr. Kodner) Robinson contended the ALJ improperly discounted treating opinions and ignored Dr. Kodner Commissioner maintained ALJ gave permissible reasons to discount (conflicts with later records) and omission of Dr. Kodner was harmless Affirmed: ALJ provided specific, legitimate reasons to discount Lykins; failure to discuss Kodner was harmless because no reasonable ALJ would reach a different result
Whether ALJ permissibly relied on a non‑examining physician (Dr. Donahue) Robinson argued non‑examining opinion is entitled to little weight Commissioner argued Donahue was consistent with other clinicians and thus could constitute substantial evidence Affirmed: ALJ permissibly relied on Donahue because his opinion was consistent with other medical evidence
Whether ALJ properly rejected claimant testimony Robinson argued his testimony should be credited Commissioner argued testimony conflicted with daily activities and inconsistent statements about drug use Affirmed: ALJ gave specific, clear, and convincing reasons to discount testimony

Key Cases Cited

  • Molina v. Astrue, 674 F.3d 1104 (9th Cir. 2012) (standard of review and framework for evaluating ALJ disability findings)
  • Garrison v. Colvin, 759 F.3d 995 (9th Cir. 2014) (standards for rejecting treating physician opinions when conflicts exist)
  • Reddick v. Chater, 157 F.3d 715 (9th Cir. 1998) ("clear and convincing" standard to reject an uncontradicted treating opinion)
  • Marsh v. Colvin, 792 F.3d 1170 (9th Cir. 2015) (error in totally ignoring a treating doctor and harmless‑error analysis)
  • Bayliss v. Barnhart, 427 F.3d 1211 (9th Cir. 2005) (a doctor’s failure to review other medical records can justify discounting the opinion)
Read the full case

Case Details

Case Name: Dennis Robinson v. Nancy Berryhill
Court Name: Court of Appeals for the Ninth Circuit
Date Published: May 3, 2017
Citation: 690 F. App'x 520
Docket Number: 14-35415
Court Abbreviation: 9th Cir.