Document NGkEwyvRRd01Y4yza0eGbMQbw
Vorys, Sater, Seymour and Pease
Suite 2100 . Atrium TWo 221E. Fourth street Post Office Box 0236 Cincinnati, Ohio 45201-0236 Telephone (S13) 723-4000 . Telecopier (513) 723-4056
Arthur l. Vorys IQSG-1933
Lowry R sater 1887-1935
Augustus T, Seymour 1873-193(3
Edward u Pease 1873 1924
in Columbus 52 East Day Street Post office Box 1008 Columbus, OhlO 4.3216-1008
Telephone tsui 4C54-640O Telecopier tei4i 404*0350 Raplfax (0141 404-6453 Telex 241348 Cable voRYSATGR
In Washington suite 1111 1828 L street, NW Washington.D.C. 20036-5104
Telephone (202! 822-8200 Teleicoptcr (202) 835-0099 Telex 440693
In Cleveland 2100 One Cleveland center 1375 East Ninth street Cleveland,Ohio 44114-1724
Telephone 1216) 621 - 70 91 Telecopier <2161 621-83 68
Writer's Direct Dial Number (513) 723-4012
L/uxt-ikS. kin., iia
February 5, 1990
; e n 09 J
Mr. Anthony J. Colangelo Workers' Compensation Claims Examiner The Sherwin-Williams Company 101 Prospect Avenue, N.W. Cleveland, Ohio 44115-1075
RE:
Claimant: Employer: Claim No:
Sherwin-Williams 888596-2
REDACTED
v. Sherwin-Williams Co., et al. Case No: A 8701440
Dear Tony:
X enclose herewith a Memorandum of Law on the issue we
discussed regarding the release of a future but unaccrued claim.
It appears that " "
wife cannot at this time release her
potential claim n ner husband dies at a later date from an
employment related condition. However, I have included language
in the settlement agreement whereby "
and his "heirs,
executors, administrators..." release Sherwin-Williams Company.
I have also included a signature line for
I do not
know if that will pass muster with the Commission member that
approves the settlement. However, it is worth trying. I also
enclose herewith the application for approval of settlement which
should be signed by Sherwin-Williams. Finally, I enclose copies
of the proposed settlement agreement and release. We will have
the case pending in court conditionally dismissed pending
approval of the settlement by the Industrial Commission. If you
have any questions, please do not hesitate to call.
Very truly yours,
(J, Offa-ps'
Yolanda V. Vofrys
YW/tck cc: Thomas M. Taggart, Esq.
N40186
0007-SWP-005804662
TO: FROM: DATE: RE:
MEMORANDUM
Yolanda V. Vorys Michael E. Clancey January 24, 1990 Sherwin-Williams company/
FACTS
Robert Scott alleges that he sustained an injury while
in the course of and arising out of his employment with Sherwin-
Williams Company (hereinafter "Sherwin-Williams"). Mr.
filed a claim with the Industrial Commission which was allowed
for "chemical induced bronchial asthma and coronary insufficiency
resulting in aggravation of pre-existing angina". Sherwin-
Williams appealed to the Court of Common Pleas. The parties now
wish to accomplish a full and final settlement of all of Mr.
industrial claims for the sum of $40,000.
ISSUE
Whether a claimant, in settling a pending workers'
compensation claim, may also release any death claim that may
arise in the future? ANSWER
REDACTED
No. DISCUSSION
Ohio Rev. Code 4123.80 declares invalid any agreement
by an employee to waive his right to compensation. This
provision, however, has not been read to prohibit settlement of
N40186.01
0007-SWP-005804663 CONFIDENTIAL