Air Methods/Rocky Mountain Holdings, LLC v. State ex rel. Department of Workforce Services

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The Supreme Court affirmed the orders of the Office of Administrative Hearings (OAH) granting summary judgment to Air Methods/Rocky Mountain Holdings, LLC, EagleMed, LLC, and Med-Trans Corp. (collectively, Claimants) and ruling that the Wyoming Workers’ Compensation Division (Division) was required to pay the full amount billed by Claimants, holding that Wyo. Stat. Ann. 27-14-401(e), as severed, required the Division to pay Claimants the full amount of their billing for air ambulance services.Claimants, who operated air ambulance services in Wyoming, filed separate claims with the Division for services they provided to injured workers. The Division paid only the amounts permitted by its fee schedule, which were significantly less than the amounts billed. Claimants appealed. The OAH ruled (1) in accordance with a federal ruling that the Airline Deregulation Act of 1978 (ADA) preempted the Division’s air ambulance fee schedule, the Division was required to pay the full amount billed by Claimants; and (2) Air Methods was not entitled to pre- or post-judgment interest on its claims. The Supreme Court affirmed, holding that the OAH correctly ruled (1) section 27-14-401(e) was severable and, as severed, required Claimants to be paid the full amount they sought; and (2) it lacked statutory authority to award interest on the contested claims. View "Air Methods/Rocky Mountain Holdings, LLC v. State ex rel. Department of Workforce Services" on Justia Law