A.M.L. рetitions for review of a final decision of the Division of Health Care Financing (DHCF) denying her Medicaid benefits for a reduction mammaplasty (breast reduction) that DHCF deemed “medically unnecessary” in her case. We reverse.
FACTS
A.M.L. is a twenty-eight year old woman who has had systemic lupus erythemаtosus (lupus) since she was eighteen years old. Lupus is a chronic, inflammatory disease in which the body’s immune system forms antibodies that attack healthy tissues and organs. It can affect any body organ or system, such as the blood, skin, joints, kidneys, brain, heart, lungs, central nervous system, or connective tissue. Lupus is presently incurable.
To slow the progress of the disease, A.M.L.’s primary physician, Dr. David C. Flinders, prescribed the drug Prednisone, a corticosteroid. This anti-inflammatory drug has been widely used to manage lupus despite its several potentially serious side effects. Among these side effects are аppetite stimulation, water retention, and weight gain. A.M.L. has gained sixty-six pounds since she started taking Predni-sone.
A disproportionate amount of A.M.L.’s weight gain occurred in her breasts — her bra size increased from a 36B to a 44DD. Dr. Flinders attributes this weight gain distribution to the fact that steroid use can cause truncal obesity. As a result of the substantial increase in A.M.L.’s breast size, she experiences chronic neck and back problems, numbness in her arms and hands, headaches, and difficulty in breathing. In addition, she has painful grooves in her shoulders from her bra straps, extremely sensitive stretch marks one to two inches wide, 1 and in the summer she suffers from severe yeast infections and sores under her breasts.
Because A.M.L. was in continual pain due to her large breasts, she sought a referral from her treating physician for a reduction mammaplasty. Dr. Charles Pledger, a plastic surgeon, agreed with Dr. Flinders that A.M.L. wоuld benefit from this procedure because A.M.L. has about 800 to 1000 grams of excess tissue in each breast. 2 In the opinion of both Dr. Pledger and Dr. Flinders, A.M.L.’s requested breast reduction would not be for cosmetic reasons, but rather for medical reasons, including relief of pain.
*46 On March 15, 1991, Dr. Pledger filed on behalf of A.M.L. a Request for Prior Authorization for a reduction mammaplasty. DHCF denied this request on April 10, 1991. A.M.L. requested, and received, a formal administrative hearing which was held on August 9, 1991. Following the hearing, the hearing officer recommended that A.M.L.’s request for prior authorization be denied, reasoning thаt her case did not fit among the listed exceptions to the genera] rule barring cosmetic, plastic, or reconstructive services. 3 He did comment, however, that A.M.L. had presented a compelling case for an exception tó this rule.
Rod Betit, Interim Executive Director of the Dеpartment of Health, reviewed the hearing officer’s recommended decision and remanded the case to obtain recommendations from a DHCF physician regarding the “medical necessity” of the breast reduction and to determine whether an exception to current policy should be made in A.M.L.’s case. Pursuant to the remand, the hearing officer requested that Dr. John C. Hylen, a DHCF physician who is board certified in internal medicine, review the matter and provide an opinion.
Dr. Hylen subsequently submitted a written statement indicating that the breast reduction requested by A.M.L. was not “mеdically necessary.” Dr. Hylen did not personally examine A.M.L. However, after review of her medical file and Goodman & Gilson, The Pharmacological Basis of Therapeutics 1478-79 (MacMillan 1985), Dr. Hylen opined that Prednisone use, not the large size of A.M.L.’s breasts, caused the yeast infections and sores in the summer. In addition, Dr. Hylen stated that any back pain оr curvature of the spine experienced by A.M.L. was probably also due to the Prednisone. He noted that “[e]nlarged breast [sic] complicating pred-nisone therapy causing back pain is rarely reported.”
Thereafter, the hearing officer presided over a secоnd hearing in order to allow A.M.L. to cross examine Dr. Hylen. The hearing officer then filed a Recommended Decision on Remand on July 29, 1992, again denying A.M.L.’s request for preauthorization for reduction mammaplasty. On August 10, 1992, Betit filed a Final Agency Action finding that a breast reduction was of “unproven value” tо A.M.L., and that A.M.L. had failed to show, by a preponderance of the evidence, that the procedure was “medically necessary.” A.M.L. seeks review of this determination, arguing that the evidence overwhelmingly supports her position that breast reduction surgery is medically necessary in hеr case. 4
STANDARD OF REVIEW
Administrative agency action based on factual findings will be overturned only if it “ ‘is not supported by substantial evidence when viewed in light of the whole record before the court.’ ”
King v. Industrial Comm’n,
ANALYSIS
Medicaid was established in 1965 “for the purpose of providing federal financial assistance to States that choose to reimburse certain costs of medical treatment for needy persons.”
Harris v. McRae,
The federal government has granted participating states considerable latitude in creating and implementing their Medicaid programs. State Medicaid programs need only contain “ ‘reasonable standards ... for determining ... the extent of medical assistance under the plan which ... are consistent with the objectives of [Medicaid].’ ”
Beal v. Doe,
In this case, DHCF concedes that a rule interpreted as creating an irrebuttable presumption that breast reduction surgery will not be covered would be unreasonable and inconsistent with the Medicaid statute and implementing regulations. Consequently, in additiоn to the three express exceptions listed in R414-10-6. DHCF authorizes breast reduction surgery in particular cases of “medical necessity.” The hearing officer’s initial ruling, therefore, that A.M.L.’s case did not fit within one of the exceptions listed in R414-10-6 failed to recognize DHCF’s practice of covеring breast reduction surgery when “medically necessary.” Thus, in the remand proceedings, the hearing officer was required to consider the weight and credibility of all evidence presented for and against a finding of a “medical necessity” exception to the general rule.
DHCF based its final dеcision to deny Medicaid benefits for A.M.L.’s breast reduction on the testimony given by Dr. Hy-len, a DHCF-hired physician. In Dr. Hy-len’s opinion: (1) no documentation indicated that breast reduction surgery has any effect on backache; (2) excess breast weight could not cause respiratory problems; (3) the strеtch marks on A.M.L.’s breasts were probably unrelated to the massive size of her breasts; and (4) large breasts probably did not cause numbness in the hands. He responded to the question of when reduction mammaplasty would be “medically necessary” by stating, “[i]t isn’t medically necessary.”
In addition, Dr. Hylen also рrovided the hearing officer with a legal opinion about the scope of Medicaid benefits. When the hearing officer asked him whether Medicaid ever permitted coverage of breast reduction surgery, Dr. Hylen responded, “It’s not a benefit.” When the hearing officer pressed him about the possibility of a “medically necessary” breast reduction, Dr. Hylen again answered that Medicaid would not cover this procedure. This opinion contravenes Medicaid policy and DHCF’s position that Medicaid would provide benefits for a “medically necessary” breast rеduction.
In contrast to Dr. Hylen’s testimony, A.M.L.’s treating physicians provided opinions that were substantiated in medical lit *48 erature. 5 Dr. Flinders, A.M.L.’s primary treating physician for the past thirteen years, submitted a letter to the DHCF hearing officer stating that A.M.L.’s “substantial increase in breast size ... has lead to chronic neck and bаck problems.” Dr. Pledger, one of the plastic surgeons who examined her, submitted a letter to the DHCF hearing officer stating that A.M.L. has “problems with the back, largely caused by large breasts. She has pain in the upper back and in the neck, also constant pain in the shoulders and painful groоves from the bra straps. During the summer she gets severe yeast infections under the breasts.” Dr. Clayton, another plastic surgeon who examined A.M.L., submitted a letter in which he characterized A.M.L. as having “severe problems relating to very large breasts.” He observed that
[A.M.L.] has upper back, neck, аnd shoulder aching due to the heavy weight of her breasts. She is also getting grooving in her shoulders from the bra straps pressing due to the large breast size.... She also indicated that her hands go to sleep. This has been shown, in some patients, to be due to the heavy weight of the breast pulling on the bra strаp and putting pressure on the brachioplexus.
Further, we note that several courts require state Medicaid agencies to recognize a presumption “in favor of the medical judgment of the attending physician in determining the medical necessity of treatment.”
Weaver v. Reagen,
In accordance, if DHCF elects not to give deference to the testimony given by the treating physician, the agency should “provide a reasoned basis for declining to do so which is consistent with the purposes of the Medicaid Act.”
Worthington,
slip op. at 7;
see also Frey,
CONCLUSION
We conclude that the evidence in the record does not support DHCF’s determination that a breast reduction for A.M.L. was not medically necessary. Rather, the evidence overwhelmingly supports the medical necessity of a breast reduction in A.M.L.’s case. Therefore, we reverse DHCF’s decision.
JACKSON, J., concurs.
RUSSON, J., concurs in result.
Notes
. Apparently, Prednisone use can cause the skin to lose its elasticity.
. Dr. James M. Clayton, another plastic surgeon consulted by A.M.L., indicated that a breast reduction would be undertaken for medical reasons when there are between 400 and 600 excess grams of breast tissue.
. The rule states:
1. Cosmetic, plastic, or reconstructive surgery procedures may only be covered when medically necessary to:
a. correct a congenital anomaly;
b. restore body form or function following an accidental injury; or
c. revise severe disfiguring and extensive scarring resulting from neoplastic surgery.
Utah Code Admin.P. R414-10-6(M) (1993).
. A.M.L. also claimed that by denying her funding for breast reduction surgery, DHCF violated a federal regulation stating that a Medicaid agency "may not arbitrarily deny or reduce the amount, duration, or scope of a required service ... to an otherwise eligible recipient solely because of the diagnosis, type of illness, or condition.” 42 G.F.R. § 440.230(c) (1992). Medicaid will pay for breast reconstruction surgery after a mastectomy performed because of breast cancer. Medicaid Information Bulletin, Procеdure Code tt 19360, 19364. Therefore, A.M.L. argues, Medicaid should pay for her "breast reconstruction" after the course of treatment prescribed for her lupus results in gross disfigurement of her breasts. In light of the resolution reached in this case, it is not necessary to address this argument.
. For example, A.M.L. submitted a recent study concluding that the reason for breast reduction surgery is "purely medical” when a woman has a body surface area of 2.00m2 and more than 628 grams of excess tissue in the breast. Paul L. Schnur et al., Reduction Mammaplasty: Cosmetic or Reconstructive Procedure? 27 Annals of Plastiс Surgery 232 (1991). A.M.L.’s body surface area is within l/100th of the standard, and she has 800 to 1000 grams of excess tissue in each breast. Also, the Guide to Cosmetic Surgery, written by the American Society of Plastic and Reconstructive Surgeons, supported A.M.L.’s claims that her pain and discomfort are related to the size of her breasts. This book noted that excessively large breasts can cause "medical problems like back pain, skeletal deformities, breathing difficulties, skin irritation, restricted motion, and numbness in the hands. Many women with oversized breasts also develop indentations in their shoulders where their bra straps press into their flesh.” Josleen Wilson, The American Society of Plastic and Reconstructive Surgeons’ Guide to Cosmetic Surgery Chapter 21 (Simon & Schuster 1992).
