19 Apr 2013
Sanford v Accident Compensation Corporation
- Citation
- [2013] NZACC 106
- Court
- District Court
Judge applied the Lamb/Irving approach: because claimant's basic skills applied within the wider field of process assembly work and she was medically certified as fit for 'normal' work in June 2004 and performed full‑time process work for close to five years thereafter, she had regained capacity for the generic employment and thus was not incapacitated for the employment in which she was engaged when injured under s103(2).