The Board has remanded the Veteran's claims for right hip osteoarthritis and TDIU due to inadequate examination reports, specifically failing to address pain during range of motion testing and functional loss.
The deciding factor: The VA examinations did not comply with the requirements in Correia v. McDonald (2016) and Sharp v. Shulkin (2017), which require detailed assessments of pain, flare-ups, and functional impairment.
- Claimed conditions
- right hip osteoarthritis, total hip replacement
- How they argued it
- Direct service connection
- Exposure basis
- None
- Rating assigned
- None in this decision
- Decision date
- January 17, 2019
- Citation
- 19104025
What this means for you
A remand is not a loss. The Board sent the case back for more development — often a new exam or missing records — before making a final decision. Many remands later end in a grant, and the decision spells out exactly what the Board wanted to see.
What you can do next
Related decisions
Other Board decisions on a similar condition or argued the same way.
- Remanded (sent back)
The Board remands the matter for an appropriate VA examination to determine the current nature and severity of the Veteran's right hip disability, as the April 2021 VA examination is deemed inadequate.
- Granted
The Board granted service connection for right hip osteoarthritis, left hip osteoarthritis, lumbar spine herniated disc, and bilateral flat feet (pes planus) as secondary to the Veteran's already service-connected bilateral knee and ankle disabilities.
- Partly granted
The Board denied service connection for left knee, right knee, and lumbosacral spine conditions but granted service connection for right hip and left hip osteoarthritis as secondary to the Veteran's service-connected right anterior superior iliac spine avulsion fracture.
- Denied
The Board denied the veteran's claims for increased ratings for right hip osteoarthritis and right hip scars, finding that the evidence did not support a higher rating than 10 percent.
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