Kantor & Kantor Triumphs in Second Circuit ERISA Disability Case

Kantor & Kantor Triumphs in Second Circuit ERISA Disability Case
The U.S. Court of Appeals for the Second Circuit has delivered a game-changing ruling in favor of Kantor & Kantor, LLP and their client, Kristen Schuyler. This significant victory challenges the tactics of Sun Life Assurance Company, which sought to deny Schuyler's long-term disability benefits based on a severance agreement she signed.
Understanding the Case Background
The roots of this case can be traced back to a traumatic brain injury that Schuyler sustained in 2015, leaving her with severe cognitive and physical challenges. Following her injury, she made the difficult decision to leave her job at Benco Dental Supply Company subsequent to Sun Life denying her initial disability claim. In good faith, Benco promised that signing a severance agreement would in no way interfere with her right to pursue a claim against Sun Life.
The Severance Agreement Impasse
However, despite these reassurances from her former employer, Sun Life contended that the severance agreement absolved them from any claims Schuyler might have. They successfully gained summary judgment in district court, relying on the argument that the agreement effectively released any potential claims against them.
The Court’s Ruling
In a major decision, the Second Circuit overturned the lower court's judgment, emphasizing that any waivers made under the Employee Retirement Income Security Act (ERISA) require careful consideration. The judges underscored that in this instance, the circumstances surrounding the separation agreement and the communications between Benco and Schuyler indicated that any waiver of her ERISA rights was neither knowing nor voluntary.
Implications of the Ruling
“This ruling sends a resounding message that insurance companies cannot exploit legal loopholes or unclear language to evade their responsibilities,” stated Glenn R. Kantor, founding partner of Kantor & Kantor. His passionate argument during the case, alongside co-counsel, highlighted a commitment to ensuring that individuals facing wrongful denials of their claims can seek justice.
Impact on Workers’ Rights
The appellate decision not only reinstates Schuyler's claim but also affirms protection for countless workers nationwide confronting similar challenges with insurers. It sets a precedent that is crucial in safeguarding the rights of employees to receive the benefits they rightfully deserve. This ruling underscores the importance of clarity in the language of severance and insurance agreements.
Kantor & Kantor: Advocates for Justice
Kantor & Kantor, LLP stands as one of the largest law firms in the United States dedicated exclusively to representing plaintiffs in insurance benefit claims. The firm has a strong track record of winning significant ERISA cases, advocating on behalf of individuals who require help in securing the benefits they are entitled to following debilitating conditions.
Media Contact Details
For more information, please reach out to the marketing department at Kantor & Kantor, LLP. The Director of Marketing & Strategic Initiatives, Allison D. Bronson, is available for inquiries.
Phone: 747-210-0919
Frequently Asked Questions
What was the core issue in this court case?
The main issue revolved around whether the severance agreement signed by Kristen Schuyler waived her rights to claim long-term disability benefits under ERISA.
What is ERISA?
The Employee Retirement Income Security Act (ERISA) is a federal law that sets minimum standards for pension and health plans in private industry, protecting individuals' rights to their benefits.
What impact does this ruling have on other disability claims?
This ruling reinforces the notion that insurers cannot over-rely on technicalities to deny legitimate claims, providing a strengthened foundation for future disability claims.
Who are Kantor & Kantor?
Kantor & Kantor is a law firm that specializes in representing individuals facing insurance benefit claims, with a history of winning significant cases against insurers.
Why is this case considered precedent-setting?
This case is considered precedent-setting because it emphasizes the necessity for clear understanding in agreements related to disability claims, ensuring protection against ambiguous contract language.
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