23 Jun 2008
Kelly v Accident Compensation Corporation
- Citation
- [2008] NZACC 125
- Court
- District Court
There was conflicting and inconsistent medical evidence and credibility of the appellant's account was central; the Judge was not satisfied the record permitted a final factual determination on whether a physical injury occurred or whether any injury qualified as a gradual-process claim, and therefore ordered reconvening of the hearing to hear the appellant's evidence and allow cross-examination before resolving cover.