Skip to content
Do It For The Caselaw
  • Decisions
  • Broadcast
  • Topics
  • About
  • Shop
  • Subscribe
Do It For The Caselaw
  • Decisions
  • Broadcast
  • Topics
  • About
  • Shop
  • Subscribe
Home / Decisions / United States Court of Appeals for the Eleventh Circuit / Wang v. Metropolitan Life Insurance Company
11th Cir.

Wang v. Metropolitan Life Insurance Company

July 7, 2026 ·1:24-cv-01124-SCJ ·Per Curiam · By Raj Patel

The Eleventh Circuit affirmed a district court judgment granting summary judgment to Metropolitan Life Insurance Company in an ERISA long-term disability benefits dispute. The court held that the plaintiff failed to meet his burden of proving total disability under the plan terms and that the insurer conducted a full and fair review of his claim.

Listen to this decision 0:00 / 2:00
Download

Key takeaways

  • Holding: The Eleventh Circuit affirmed the district court's grant of summary judgment, holding that the insurer's denial of long-term disability benefits was not wrong under de novo review and that the administrative record supported the denial.
  • Standard: de novo review
  • Practical effect: The decision reinforces that ERISA plan participants bear the burden of proving they meet the specific definition of total disability and that courts will not supplement the record on appeal with post-denial evidence unless it clearly resolves the dispute.

Background

Yu Wang, proceeding pro se, appealed a district court judgment in favor of Metropolitan Life Insurance Company regarding his claim for long-term disability benefits under an employer-sponsored plan. Wang alleged that MetLife arbitrarily denied his claim based on a cardiac condition and failed to consider his mental health issues. The district court granted MetLife’s motion for summary judgment, finding the denial was not wrong and rejecting Wang’s arguments regarding procedural deficiencies and conflicts of interest.

The court’s reasoning

The Eleventh Circuit reviewed the district court’s grant of summary judgment de novo. The court determined that Wang failed to meet his burden of proving he met the plan’s definition of total disability. Medical records showed his cardiac condition was benign and objective testing did not support his claims of incapacity. Furthermore, the record lacked evidence of a severe psychiatric disorder or treatment for anxiety and depression that would render him unable to work. The court also denied Wang’s motion to supplement the record with post-denial evidence, stating it did not establish beyond doubt the proper resolution of the issues. Finally, the court found no abuse of discretion by the district court in rejecting Wang’s claims of procedural misconduct and conflict of interest.

What it means going forward

The decision reinforces that ERISA plan participants bear the burden of proving they meet the specific definition of total disability and that courts will not supplement the record on appeal with post-denial evidence unless it clearly resolves the dispute.

Civil ERISA / Employee Benefits Social Security Summary Judgment

On this page

Background The court’s reasoning What it means going forward

Share

Related from this court

Jul 16, 2026 Savannah Shoals, LLC v. Commissioner of Internal Revenue Jul 16, 2026 Middlebrooks v. Bond, James Bond, Inc. Jul 15, 2026 Ali Cem Erenler v. TJM Properties, Inc. Jul 15, 2026 Arenales-Salgado-de-Oliveira v. Director, USCIS
Do It For The Caselaw

Just Do It For the Caselaw!

Site

  • Mission
  • The Anchors
  • Editorial Process
  • Privacy
  • Terms
  • Contact

Read & Listen

  • Decisions
  • Broadcast
  • Topics
  • The Weekly Brief

Follow

© 2026 Do It For The Caselaw. Not legal advice.