Cichocki v. Astrue

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Plaintiff appealed the denial of disability insurance benefits under Title II of the Social Security Act, 42 U.S.C. 401 et seq. The court concluded that the failure explicitly to engage in a function-by-function assessment of plaintiff's limitations and restrictions as a part of her residual function capacity (RFC) did not constitute a per se error requiring remand. The court concluded that remand was not required where the ALJ's Step Four analysis of plaintiff's limitations and restrictions provided an adequate basis for meaningful judicial review, the ALJ's determination applied the correct legal standards, and the determination was supported by substantial evidence. Accordingly, the court affirmed the judgment of the district court. View "Cichocki v. Astrue" on Justia Law