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Home / Decisions / United States Court of Appeals for the Ninth Circuit / NAVARRO V. BISIGNANO
9th Cir.

NAVARRO V. BISIGNANO

April 22, 2026 ·3:23-cv-05065-SK ·Unpublished · By Raj Patel

The Ninth Circuit affirmed the denial of Social Security disability benefits, holding that the Administrative Law Judge's decision was supported by substantial evidence. The court found the ALJ provided specific and legitimate reasons for weighing medical opinions and correctly excluded asthma-related work restrictions based on uncontradicted record evidence.

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Key takeaways

The ALJ properly weighed treating and examining physicians' opinions by citing specific discrepancies between the doctors' conclusions and the normal findings made during examinations.

Paulette Navarro appealed the denial of her disability insurance benefits under Title II of the Social Security Act. An Administrative Law Judge (ALJ) had previously denied her claim, concluding she possessed sufficient residual functional capacity to perform relevant past work. The district court affirmed the ALJ's decision, and Navarro timely appealed to the Ninth Circuit. The case involves a review of whether the ALJ properly evaluated medical evidence, the claimant's subjective symptoms, lay witness testimony, and the hypothetical posed to a vocational expert.

The Ninth Circuit applied the standard of review for Social Security cases, affirming the ALJ's decision if it is supported by substantial evidence and free of legal error. The court addressed five specific issues raised by Navarro. First, regarding medical evidence, the court held that while treating and examining physicians receive special weight, the ALJ may reject their opinions for specific and legitimate reasons supported by substantial evidence. The ALJ properly afforded less weight to Dr. Martin's opinion by pointing to discrepancies between his conclusions and the normal findings he made during the examination. Regarding Dr. Fallin, the ALJ did not discredit his opinion entirely but gave it less weight because he attributed Navarro's mental health decline to chronic pain rather than an underlying mental condition, which is not error under the applicable regulations. Second, concerning asthma, the court found the ALJ correctly excluded work restrictions for unscheduled nebulizer breaks because the record showed Navarro had switched to inhalers, a fact she failed to rebut. Third, regarding Navarro's testimony, the court noted that the ALJ cannot demand positive objective medical evidence to corroborate every allegation but must provide specific, clear, and convincing reasons to discount subjective symptoms. The ALJ met this standard by referencing inconsistent medical evidence and Navarro's contradictory statements. Fourth, on lay witness testimony, the court found the ALJ gave germane reasons for discounting Navarro's daughter's statement, noting that some assertions contradicted medical evidence and reflected a sympathetic perspective, while acknowledging the statement did cause a reduction in the assessed exertional capacity. Finally, regarding the vocational expert, the court found the hypothetical was accurate because it was based on the ALJ's correct assessment of the residual functional capacity, which had already been upheld on the previous issues.

The district court's judgment upholding the Commissioner's denial of benefits remains in full force. Navarro's claim for disability insurance benefits is denied, and she is not eligible for benefits based on the current record. The decision reinforces that ALJs must provide specific reasons for weighing medical opinions and that claimants must provide evidence to rebut factual findings regarding their medical treatment and limitations.

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