July 9, 1998
Kenneth
S. Apfel
Commissioner of Social Security
P.O. Box 1585
Baltimore MD 21235
RE: COMMENTS ON THE ELIMINATION
OF OBESITY FROM THE LISTING OF IMPAIRMENTS (Proposed in 63 FR 11854)
Dear
Commissioner Apfel:
The undersigned organizations are pleased to submit the following comments
on the above captioned proposal to delete obesity from the Listing of Impairments.
We appreciate the extension of the comment period to allow for our response.
It is the position of our organizations that the proposal should be withdrawn
and reconsidered. The undersigned organizations are interested in working
with the Social Security Administration in a cooperative process to improve
the evaluation of obesity for purposes of Social Security disability determination.
Sincerely,
Morgan Downey, J.D.
Executive Director
American Obesity Association
On
behalf of:
American
Obesity Association
American
Dietetic Association
American
Society of Bariatric Physicians
American
Society for Bariatric Surgery
American
Society for Clinical Nutrition
Council
on Size and Weight Discrimination
Law
Offices of Susan Wasserman
National Organization of Social
Security Claimants
Representatives
Obesity
Law and Advocacy Center
Shape
Up America!
American
Obesity Association
The American Obesity Association is a Delaware non-profit corporation
headquartered in Washington D.C. It is organized as a 501(c)(4) tax-exempt
organization for the purpose of advocating on behalf of persons with obesity.
American
Dietetic Association
The American Dietetic Association (ADA) represents nearly 70,000 food and nutrition
professionals serving the public through the promotion of optimal nutrition,
health and well being. Founded in 1917, ADA is the worlds largest
group of food and nutrition professionals uniquely educated, trained, and qualified
to provide nutrition services in the integrated health care setting. ADA
and the ADA Foundation (a 501 (C)(3) corporation) maintain association headquarters
in Chicago, Illinois, with a government affairs office in Washington, D.C.
American
Society of Bariatric Physicians
The American Society of Bariatric Physicians is a nonprofit professional
association of physicians who have a special interest in the study and treatment
of obesity and other eating disorders. Through research, continuing education,
and peer exchange of information, the Society seeks to encourage excellence
in the practice of bariatric medicine.
American Society for Bariatric
Surgery
The American Society for Bariatric Surgery is an non-profit professional
association of bariatric surgeons throughout the world.
American
Society for Clinical Nutrition
The American Society for Clinical Nutrition, Inc, (ASCN) is the premier
society for clinical nutritionists in medicine and health sciences. ASCN has
approximately 1,500 members comprised primarily of MDs and PhDs
who work to encourage and expand research, education, and clinical training
in nutrition. ASCN is the publisher of the American Journal for Clinical Nutrition.
Law
Offices of Susan R. Wasserman
The attorneys of the Law Offices of Susan R. Wasserman have practiced
disability law since 1981. Its attorneys include a former staff attorney
from the Social Security Administration, a retired Administrative Law Judge
also formerly with the Social Security Administration, and other attorneys who
exclusively practice Social Security law, handling thousands of cases through
the Social Security Administration and the federal courts.
National
Organization of Social Security Claimants Representatives
The National Organization of Social Security Claimants Representatives
is committed to providing the highest quality representation and advocacy on
behalf of persons seeking Social Security and Supplemental Security Income.
Obesity
Law and Advocacy Center
The Obesity Law & Advocacy Center is the only private law practice
in the country solely dedicated to representing persons with morbid obesity
in claims involving discrimination based on size or assisting clients in obtaining
access to appropriate health care treatment related to their morbid obesity.
Shape
Up America
Shape Up America! is a 501(c)(3) not-for-profit organization
founded in 1994 by former U.S. Surgeon General C. Everett Koop. The purpose
of Shape Up America! is to promote the achievement and maintenance of a healthy
weight for life through improvements in dietary habits and increased physical
activity.
COMMENTS ON THE ELIMINATION
OF OBESITY FROM THE LISTING OF IMPAIRMENTS
1. Summary: The Proposal
to Eliminate Obesity from the Listing of Impairments
On March 11, 1998, the Social Security Administration published a Proposed
Rule to delete "Obesity" from the Listing of Impairments to adjudicate
claims for disability under titles II and XVI of the Social Security Act when
evaluating claims of individuals at Step 3 of the sequential evaluation process.
(63 Fed. Reg. 11854.) The proposal asserts that "[c]urrent medical
and vocational research demonstrates that, while many individuals with obesity
are disabled, obesity, in and of itself, is not necessarily determinative of
an individual's inability to engage in any gainful activity."(Id.)
In order to meet the medical criteria for the listing of impairments,
claimants must have both body weight equal to or greater than provided
tables (generally 100% above desired level) and one of the following:
A.
History of pain and limitation of motion in any weight bearing
joint or the lumbosacral spine (on physical examination) associated with findings
on medically acceptable imaging techniques of arthritis in the affected joint
or lumbosacral spine; or,
B. 7. Hypertension
with diastolic blood pressure persistently in excess of 100mm. Hg measured with
appropriate size cuff; or,
C. History of congestive
heart failure manifested by past evidence of vascular congestion such as hepatomegaly,
peripheral or pulmonary edema; or,
D. Chronic venous insufficiency with superficial varicosities in
a lower extremity with pain on weight bearing and persistent edema; or,
E. Respiratory disease
with total forced vital capacity equal to or less than 2.O L or a level of hypoxemia
at rest equal to or less than the values specified in provided tables.
Without the obesity listing, a claimant will have to meet the medical
criteria of the pulmonary, musculoskeletal or cardiovascular systems without
an evaluation of the disabling effect of his or her weight. If he or she
does not meet these listing criteria, the claimants disability will be
considered at steps four and five of the sequential evaluation process.
Thus, the impact of obesity, now scrutinized under objective standard, will
be assessed without medical criteria, in proceedings prone to bias and inconsistency.
The Social Security Administration has not disclosed the medical and
vocational research on which this proposal is based. Independent research,
conducted by the medical, legal and public health organizations submitting this
comment, has not uncovered the scientific basis for the proposed deletion.
On the contrary, the medical and scientific literature overwhelming indicates
that:
1.
A wealth of scientific and medical literature studies indicate
that obesity is a reasonable predictor of disability.
2. Severe Obesity
meets the purposes and requirements of the Listing of Impairments regarding
both mortality and morbidity.
It is also important to point out what the Social Security Administration
has not said. It has not said that claimants under this listing are engaging
in willful conduct. It has not said that the current criteria is difficult
to administer. It has not said that this diagnostic category has become too
expensive for the system to support. It has not said that the current
criteria lend themselves to abuse.
The Social Security Administration claims that "no reliable conclusions
may be drawn about disability in most obese individuals." (63 Fed.
Reg. 11855) This is inaccurate and misleading. It is misleading because
Social Security does not make disability decisions on obesity alone. One of
five conditions has to also be present. It is inaccurate because the scientific
literature from the United States and abroad is replete with correlations of
obesity and health risks as well as effects of obesity on education, employment
and discrimination. It also defies common sense. According to the apparent
reasoning of the Social Security Administration, we are asked to believe that
any individual of normal weight can, in effect, carry his or her
own weight for 24 hours a day, 365 days a year, for year after year and have
no disabling functional limitation. Common human experience would indicate that
a person of normal weight could not support carrying twice that
weight without any disabling functional limitation.
The obesity listing, however, combines severe obesity from the
weight tables with specific disorders of the musculoskeletal, cardiovascular,
peripheral vascular, and pulmonary systems. The existence of these complications
ensures that the Social Security Administration can indeed form reliable conclusions
regarding an individual's ability to work. The obesity listing enables
disability examiners to make bright line determinations on the very few individuals
who meet this criteria.
Indeed, the overwhelming scientific and medical evidence points to the
tremendous increase in risk of both mortality and morbidity for persons who
meet the Social Security Administrations current criteria. As such,
the Social Security Administration has failed to present any justification for
its proposal to delete the listing.
The Social Security Administration has proposed to delete the cross-references
to obesity contained in the medical criteria for the respiratory system.
(63 Fed. Reg. 11856) Therefore, none of the remaining medical criteria
will consider the aggravating factor of severe obesity. This is inappropriate
because, as the Social Security Administration acknowledges in its current introduction
to the obesity listing criteria:
Long-term massive obesity will
usually be associated with disorders of the musculoskeletal, cardiovascular,
peripheral vascular, and pulmonary systems, and the occurrence of these disorders
is the major cause of disability at the listing level. Extreme obesity
results in restrictions imposed by body weight and the additional restrictions
imposed by disturbances in other body systems. (Appendix 1 to Subpart
P--Listing 9.00, Endocrine System and Obesity, 20 C.F.R. § 404 (1997)
Claimants who do not meet the medical criteria in the Listing of Impairments
must be evaluated on a case-by-case basis. If the Social Security Administration
eliminates severe obesity from the listing, there will be no criteria for disability
examiners to assess the special medical symptoms of severely obese disabled
persons. At best, this will result in confusion, hardship to the claimant,
and delay in obtaining disability benefits. At worst, it will result in
a failure to identify truly disabled individuals. In our society, severely
obese individuals are constantly subject to prejudice and discrimination.
The obesity listing's objective medical criteria serve to check the subjective
bias and humiliation that individuals with obesity appear to encounter
throughout the disability examination process.
The
Affected Population
According to the National Health Interview Survey (NHIS) the chronic
health conditions most frequently causing work limitation are back disorders,
heart disease, osteoarthritis and related disorders and diseases of the respiratory
system, mental disorders, orthopedic impairments of lower extremities and diabetes.
(Chartbook on Work and Disability in the United States, 1998) According
to the Social Security Bulletin, Annual Statistical Supplement, 1997, there
were 197,272 workers disabled under the endocrine, nutritional and metabolic
disorders category, representing 4.7% of all disabled workers. 88,000 of these
workers were men, and 111,100 were women. The distribution by age is fairly
uniform for men in this category (approx. 3.4%) but increases dramatically
for women from 2.9% of the under 30 years of age category to 7.9% of those aged
55 to 59.
The weight tables promulgated by the Social Security Administration do
not use Body Mass Index (BMI). BMI expresses the relationship between weight
and height that is used to asses morbidity and mortality associated with overweight
and obesity. BMI is frequently used by researchers and clinicians. Our comments
have translated the Social Security Administration weight tables to a minimum
Body Mass Index (BMI) of 45-49 for men, and 43-45 for women. In this way, we
can correlate the Social Security listing with scientific research which predominately
uses BMI. However, it should be noted that other measures are useful in determining
risks of excess body weight, such as waist-hip ratios, waist circumference and
percentages of body fat. The disadvantage of the percent-of-ideal weight tables
is that they were developed primarily using a Caucasian, higher socioeconomic
status population. In addition, they are based on mortality outcomes and
are not necessarily a predictor of morbidity.
A BMI of >40 has been categorized in various ways including morbid
obesity, Class IV, etc. Many terms are pejorative. For purposes of this
response, we have chosen to refer to the level BMI >40 as severe obesity.
However,
readers should be advised that studies quoted below may use various
BMI levels for defining obesity and use other terms, e.g. morbidly obese.
Severe obesity is relatively uncommon, affecting no more than 0.5% of
obese persons and thus only slightly >0.1% of the population. (The Merck
Manual of Diagnosis and Treatment, 16th Edition, 1992). Severe
obesity is a chronic intractable disorder (Gastrointestinal Surgery for Severe
Obesity, National Institutes of Health Consensus Development Conference Statement,
March 25-27, 1991) The psychological aspects of severe obesity are controversial.
Some studies report no unusual psychological disorders. Other studies report
a high prevalence of binge eating disorder among morbidly obese female subjects.
(Stunkard, AJ, Psychological Aspects of Severe Obesity, Am J. Clin Nutr, 1992;55:524S-
532S). Obese binge eater studies have found a higher lifetime prevalence
of major depression, panic disorder, and personality disorder than nonbinge
obese subjects. (Hsu, LK, Nonsurgical Factors That Influence the Outcome
of Bariatric Surgery: A Review, Psychosomatic Med. 1998,:60:338-346).
Severe obesity is overrepresented in lower socio-economic groups and
among women. Obesity is inversely related to socioeconomic status in women and
is associated with both downward social mobility and lower levels of socioeconomic
attainment, further impairing the quality of life for persons with severe obesity.
(Sarlio-Lahteenkorva S, Psychosocial Factors and Quality of Life in Obesity,
Int. J. Obesity Related Metabolic Disorders, 1995; Nov. 19 Supp. 6:S1-S5)
The impact of the proposed rule on minorities and minority women is especially
important. The National Health and Nutrition Examination Survey, 1976-1980
(NHANES II) found that obesity is a greater problem for minority populations
than it is for whites, and a greater problem for women than it is for men.
(Van Itallie, T, Health Implications of Overweight and Obesity in the United
States, Ann Int Medicine, 1985;103: 983-988 and Manson JE, A Prospective
Study of Obesity and Risk of Coronary Heart Disease in Women, NEJM, March
29, 1990;322:13, Pages 882-889, both cited in " Pi-Sunyer, FX , Health
Implications of Obesity, Amer J Clin Nutr, June 1991; 53, (Supplement):
1595S.) Hispanic Americans, including Puerto Ricans, Mexican Americans and Cuban
Americans all have higher levels of obesity that U.S. non-Hispanic whites.
(Pawson IG, Prevalence of Overweight and Obesity in U.S. Hispanic Populations,
Am J. Clin Nutr 1991, June, Vol. 53, (Supplement, No. 6) Page 1525S.) ( Mein
S, Concerns and Misconceptions about Cardiovascular Disease Risk Factors:
A Focus Group Evaluation with Low-Income Hispanic Women," Hispanic Journal
of Behavioral Sciences, 1998, May, Vol. 20; 2:192.) North American
native populations have a very high prevalence of obesity. ("Obesity
Among North American Indians," Gail G. Harrison, in Obesity (Per Bjorntorp
et al. eds., J.B. Lippincott Co. 1992) Page 610.) ("The Pima Paradox,"
Malcolm Gladwell, The New Yorker, February 2, 1998, Page 45.) There is
also a particularly high prevalence of obesity in African American women.
(Kumanyika, SK, "The Impact of Obesity on Hypertension Management in African
Americans," Journal of Health Care for the Poor and Underserved, 1997,
Vol. 8;3:353.)
The American Dietetic Association has noted, Minority women carry
a disproportionate burden of health problems. They suffer shorter life expectancy,
experience higher maternal and infant mortality, and have a higher incidence
of chronic diseases such as diabetes and hypertension. Womens overall
health status is further diminished by higher rates of poverty, lack of education,
and limited or nonexistent access to medical care,
(Position of the American Dietetic
Association and the Canadian Dietetic Association: Womens Health and Nutrition,
ADA Reports, 1995, Mar. 95;3:362)
Persons with severe obesity have a greater avoidance of this disability
than other disabled persons have of their own disability. Patients who lost
100 lbs. or more and who successfully maintained weight loss for at least three
years following gastric restrictive surgery for severe obesity viewed their
previous severe obese status as having been extremely distressful. In spite
of the strong proclivity for people to evaluate their own worst handicap as
less disabling than other handicaps, patients said they would prefer to be normal
weight with a major handicap (deaf, dyslexic, diabetic, legally blind, very
bad acne, heart disease, one leg amputated) than to be morbidly obese. All patients
said they would rather be normal weight than a morbidly obese multimillionaire.
(Rand CS, MacGregor AM, Successful Weight Loss Following Obesity Surgery and
the Perceived Liability of Morbid Obesity, Int J. Obes, 1991, Sept;15:577-579)
Persons with severe obesity are not a widely studied population.
The relatively few persons are widely distributed across the United States.
(Social Security Bulletin, Annual Statistical Supplement, 1997). For most
individuals at this level of obesity, conventional weight loss treatments
are ineffective for producing
large weight losses of long duration. The appropriate treatment for many
persons with severe obesity is bariatric surgery. Much of the information
on this population comes from non-randomized studies conducted with persons
admitting themselves to hospital centers specializing in this type of surgery.
The persons most affected by this proposal are women, especially minority
women. They rely on Social Security for both income replacement payments
(about $577.10 per month for women compared to $788.50 for men) and especially
(after a two-year waiting period) on eligibility for Medicare for their health
insurance. (See Chartbook, above.)
For individuals with severe obesity, Social Security determinations represent
the difference between some income and access to health care and no income and
no health services. The outcome of this regulatory proposal is, thus, a life
or death decision for thousands.
Background
of the Obesity listing
In 1968, the Social Security Administration first adopted the medical
criteria known as the "Listing of Impairments," establishing the level
of severity of impairments to qualify for disability benefits. (33 Fed.
Reg. 7244, May 16, 1968) The presence of an impairment that meets the
criteria in the listing is usually sufficient to establish that an individual
is prevented from doing any gainful activity (20 CFR 404.1525).
In 1978, the Social Security Administration proposed changes in the listing,
including the addition of medical criteria for obesity, after consultation with
the Bureau of Disability Insurance's Medical Consultant Staff (10 full-time
and 120 part-time physicians), regional office medical consultants (approximately
100 physicians), Disability Determination Services' physicians ("well over
600"), and other government and outside-government medical groups.
(43 Fed. Reg. 29955, July 12, 1978.) The final regulation adopted the
proposed criteria for obesity in its entirety. (44 Fed. Reg. 18170, March
26, 1979.) Other than a minor revision in 1985 (recognizing the influence
of elevation on air pressure differences) (50 Fed. Reg. 50069, December 6, 1985),
the current obesity listing is identical to that first proposed in consultation
with more than 800 physicians in 1978.
In 1995, the Social Security Administration published notice of its proposal
to revise the obesity listing. Discussing the previous minor revision
in 1985, the notice states "[t]here have been numerous advancements in
medical science and technology in evaluation and treatment of endocrine and
morbid obesity conditions since then." (60 Fed. Reg. 24193, May 8,
1995.)
Yet the notice of proposed rule
presently under consideration refers to no such advances. Rather than
refine the criteria, as was suggested in its earlier notice, this proposal eliminates
the obesity listing entirely, along with its cross-references.
II.
LEGAL OBJECTIONS
A. The Proposed Rule Is Invalid Because the Social Security Administration
Has Not Followed Proper Procedures for Notice and Comment Rulemaking
The Social Security Administration claims to rely on "current medical and
vocational research" in its proposal to eliminate obesity from the listing
of impairments. The proposed rule violates the Administrative Procedures
Act, 5 U.S.C. § 553(b)(3), in that it fails to inform the public of the substance
behind eliminating this impairment, and fails to provide a description of the
subjects and issues involved. An agency may not rely on background information
that has not been revealed in its notice. In United States v. Nova Scotia
Food Prods. Corp., the court invalidated a rule issued by the Food and Drug
Administration that had been based on undisclosed scientific data in the agency's
possession when it issued the notice of proposed rulemaking. (United States
v. Nova Scotia Food Prods. Corp., 568 F.2d 240 (2d Cir. 1977).) "When
the basis for a proposed rule is a scientific decision, the scientific material
which is believed to support the rule should be exposed to the view of interested
parties for their comment." (568 F.2d at 252.)
On May 7, 1998, the American
Obesity Association asked for an extension of time to comment on the proposed
rule. A sixty (60) day extension was granted. Pursuant to the Freedom
of Information Act (FOIA), 5 U.S.C. § 552, on May 15, 1998, the American Obesity
Association requested a copy of all information related to the proposed rule
to eliminate obesity as a listed impairment. The National Organization
of Social Security Claimants Representatives filed a similar request under
FOIA on April 20, 1998. On June 8, 1998, Mr. Darrell Blevins of the Social
Security Administration's Office of Disclosure Policy informed a staff member
of the American Obesity Association that its FOIA request was subject to a delay
of several months. The interested parties are thus left unable to review
these critical materials before the close of the comment period.
On June 9, 1998, the American Obesity Association requested a further
extension of time, for an additional ninety (90) days after the Social Security
Administration responds to its FOIA request. The request was not answered
by the time of the filing of this comment. On June 29, 1998, an AOA staff
member telephoned the Social Security Administration regarding the status of
its FOIA request. Ms. Bonnie Davis, of the Office of Disability Policy,
informed the AOA employee that there was no literature that satisfied the FOIA
request.
If the Social Security Administration does not reveal the background information
it drew upon to eliminate obesity as a listed impairment, it violates due process
requirements. The Nova Scotia court held "[t]o suppress meaningful
comment by failure to disclose the basic data relied upon is akin to rejecting
comment altogether. For unless there is common ground, the comments are
unlikely to be of a quality that might impress a careful agency. The inadequacy
of comment in turn leads in the direction of arbitrary decision-making."
(568 F.2d at 252.) The court in National Black Media Coalition v. F.C.C.
similarly overturned an agency regulation because the proposed rule, based on
critical but unpublished information, was "wholly inadequate to enable
interested parties to have the opportunity to provide meaningful and timely
comment." (National Black Media Coalition v. F.C.C., 791 F.2d 1016,
1022 (2d Cir. 1986).) "It is 'arbitrary or capricious' for an agency
not to take into account all relevant factors in making its determination."
(791 F.2d at 1024.)
B. The Proposed Rule is Invalid Because it is Arbitrary and Capricious
The Social Security Administration has not considered all the material facts
and issues relevant to the obesity listing. The proposed rule's flaw,
however, goes beyond the failure to disclose the information upon which this
decision is based. The published rationale for eliminating the obesity
listing, that "obesity, in and of itself, is not necessarily determinative
of an individual's inability to engage in any gainful activity" (63 Fed.
Reg. 11854, March 11, 1998), indicates that the agency considered the effect
of obesity alone, rather than obesity at the listing levels in combination with
one of the five serious medical conditions required for a finding of disability.
Obesity is a complex disease
that exacerbates the disabling impact of arthritis, hypertension, heart conditions,
and respiratory ailments. This is the rationale for including obesity
in the listing of impairments. On July 12, 1978, the Social Security Administration
published its proposal to add obesity to the listing of impairments, stating:
Criteria have been provided
for the evaluation of obesity based upon the common complicating factors.
The criteria require more than the documentation of findings almost universally
associated with marked obesity (e.g., peripheral edema, dyspnea on exertion):
the requirement is to document congestive heart failure (or a history of this)
with peripheral edema (or other evidence of significant vascular congestion),
(or other evidence of significant vascular congestion), respiratory disease,
including a finding of dyspnea, with specified abnormalities of pulmonary function
tests, etc. (43 Fed. Reg. 29957 (July 12, 1978).
The final rule including obesity in the listing of impairments was published
in the Federal Register on March 27, 1979. (44 Fed. Reg. 18170) Publication
of the final rule included a discussion of comments received following the notice
of proposed rulemaking. One commenter stated that the new criteria would
have little effect because the findings required under the obesity listing establish
disability even without obesity. The Social Security Administration's
response follows:
The criteria under this
section do have to have some relationship to similar impairments described under
other body systems. However, they also take into account the contributing
complication of obesity when it reaches the extremes specified by the tables.
For example, the subsection dealing with arthritis of a weight bearing joint
does not require evidence of the advanced joint pathology required in the comparable
section in the musculoskeletal section. We omitted this criterion for
the obese person because we recognize the decreased ability of an impaired joint
to bear the stress produced by extreme obesity. We also concede that joint
pathology associated with extreme obesity will progress rapidly. (44 Fed.
Reg. 18175 (March 27, 1979) (Emphasis supplied)
Clearly, the Social Security Administration carefully evaluated the impact of
obesity on other body systems when it developed this medical criteria twenty
years ago. The current proposal to delete the criteria fails to identify
any advances in the intervening period necessitating the changes as proposed.
This renders the rule arbitrary and capricious in violation of the Administrative
Procedure Act, 5 U.S.C. 706(2)(A). An agency must give "reasoned
consideration to all the material facts and issues, articulate with reasonable
clarity its reasons for decision, and identify the significance of the crucial
facts." (Greater Boston Television Corp. v. F.C.C., 444 F.2d 841, 851 (D.C.
Cir. 1970), cert. denied, 403 U.S. 923 (1971).) The agency's "fundamental
task" is to take a "hard look" at the salient problems.
(444 F.2d at 851.) "Reasoned decision promotes results in the public
interest by requiring the agency to focus on the values served by its decision,
and hence releasing the clutch of unconscious preference and irrelevant prejudice."
(444 F.2d at 852. (footnote omitted.)
III.
SCIENTIFIC AND MEDICAL OBJECTIONS
A. A wealth of scientific
and medical literature studies indicate that obesity is a reasonable predictor
of disability.
The Social Security Administration justifies the proposed regulation that,
there
is no generally accepted current medical and vocational knowledge which establishes
that even massive obesity, per se, has a defined adverse effect on an individuals
ability to work: i.e., even long-term, massive obesity at the level specified
in the listing does not necessarily cause limitations that would prevent an
individual from engaging in any gainful activity. Associated disorders
of the musculoskeletal, cardiovascular, peripheral vascular, and pulmonary systems
are generally the major cause of disability at the listing level in obese
individuals but, unless the associated disorder(s) is itself of listing-level
severity, no reliable conclusions may be drawn about disability in most obese
individuals. Rather, it is necessary to consider the effect of any disorders
related to or aggravated by obesity on each individual, on a case-by-case basis,
in order to determine whether the individual is disabled.(63 Fed. Reg.
11854 et seq).
A case by case determination is inherently subject to demonstrations of bias
and stigma commonly directed to individuals with severe obesity. This
stigma exists in society in general and in the health care profession in particular.
This stigma can bias case-by-case evaluation against persons with severe obesity.
In addition, however, it is clear that the other categorical listings are not
adjusted for an individuals excessive weight. The purpose of the
listing process appear to be a reasonable effort to identify medical criteria
likely in the great majority of cases to indicate inability to engage in gainful
activity. Current medical literature indicates that severe obesity is
an excellent predictor of disability in and of itself. A review of the
literature indicates major interest in evaluating at what level of overweight
(usually using BMI and other indicators) the health risks begin. Nonetheless,
it is clear that obesity is a major cause of morbidity and mortality. As Kelley
Brownell and Judith Rodin have stated, To argue that greater levels
of excess weight are not associated with increased risk is to dismiss an abundant
and consistent literature. (Brownell KD, Rodin J. 1994 The Dieting Maelstrom,
American Psychologist, 49:9m 781:791) When obesity is combined, as required
under the current regulation with one of five other impaired systems, the predictive
value for determining disability is overwhelming.
According to Albert J. Stunkard:
Overweight of 100% (BMI
greater than 35), traditionally termed morbid obesity defines a
level at which the risks of obesity appear to make surgical intervention a reasonable
option -a judgment supported by years of experience. The distribution
of body weight in the general population is highly skewed, and the percentage
of persons falling into the three categories varies greatly: 90% of obese persons
are mildly obese, and no more than 0.5% are severely obese. In earlier years,
this classification of obesity was useful in selecting appropriate treatments,
and it still is. It also served as the best estimate of risk to individuals.
Thus mild obesity was associated with the least risk, moderate obesity with
greater risk, and severe obesity with the greatest risk. These estimates
of risk still hold, particularly for the category of severe obesity, which confers
increase risk on most (and greatly increased risk on some) severely obese persons.
(Treatment of the Seriously Obese Patient, Wadden, TA, VanItallie,TB 1992,
at p.34) Emphasis added.
More recently, Stunkard reports,
Furthermore, all risks
associated with obesity are increased with increasing weight and are very high
in patients with severe obesity, who have a body mass index (BMI) that is >40
or who weigh 100% above ideal body weight. (Stunkard, AJ Current View
on Obesity, , Amer J of Medicine, 1996;100; Feb: 230-236)
According
to Current Medical Diagnosis & Treatment, 1998,
Obesity is associated
with significant increases in both morbidity and mortality. A great many disorders
occur with greater frequency in obese people. The most important and common
of these are hypertension, type II diabetes mellitus, hyperlipidemia, coronary
artery disease, degenerative joint disease, and psychosocial disability; but
certain cancers (colon, rectum, and prostate in men; uterus, biliary tract,
breast, and ovary in women), thromboembolic disorders, digestive tract diseases
(gallstones, reflux esophagitis), and skin disorders are also more prevalent
in the obese. Surgical and obstetric risks are greater as well.
Obese patients also have a greater risk of pulmonary functional impairment,
endocrine abnormalities, proteinuria, and increased hemoglobin concentration.
The death rate increases
in proportion to the degree of obesity: Relative weights of 130% are associated
with an excess mortality rate of 35% and relative weights of 150% a greater
than two-fold excess death rate. Patients with morbid obesity
(relative weight>200%) have as much as a ten-fold increase in death rate.
(at p.1161)
Severe
Obesity is a Chronic Impairment Expected to Result in Death
The Listing of Impairments describes for each of the major body
systems, impairments which are considered severe enough to prevent a person
from doing any gainful activity. Most of the listed impairments are permanent
or expected to result in death, or, a specific statement of durations is made.
(20 CFR 404.1525(a) Severe obesity meets the requirement regarding expectation
of death.
Severe obesity has long been associated with an increased risk of sudden
death. This observation was initially made by Hippocrates more than 2,000
years ago. This has been confirmed by numerous epidemiologic studies including
the Framingham and the Wadsworth Veterans Administration study. Severe
obesity is also associated with cardiomyopathy, Pickwickian/sleep apnea syndrome,
Pituitary/gonadal dysfunction, acanthosis nigricans, osteoarthritis and sudden
death. (Bray,GA, Pathophysiology of Obesity, Am J. Clin Nutr, 1992;55:488s-494s)
The incidence of sudden death unexplained by autopsy may be up to 40
times higher in severely obese subjects as compared with the general population
(Sjostrom, LV, Mortality of Severely Obese Subjects, Am J. Clin Nutr,
1992, Feb: 55 (2 Suppl): 516S-523s).
Severe
Obesity is a Chronic Impairment Severe Enough to Prevent a Person from Doing
any Gainful Activity
Obesity is associated with an increased risk for insulin resistance, hypertension,
dyslipidemia, cardiovascular disease, non-insulin dependent diabetes mellitus,
gallstones and cholecystitis, respiratory dysfunction, and certain forms of
cancer. Increases in weight are associated with increases in blood pressure.
Persons who were only 20% overweight had an eightfold greater incidence of hypertension.
The increased risk for hypertension also leads to an increased risk for stroke.
In the Framingham study, every 10% increase in relative weight was associated
with an increase in plasma cholesterol of 12 mg/dL. Triglycerides have
generally been found to be higher in obese compared with lean persons.
A higher BMI has been positively associated with the occurrence of each category
of coronary heart disease. Even mild to moderate overweight increased the risk
for coronary heart disease. The risk for diabetes has been reported to
be about twofold in mildly obese, fivefold in moderately obese, and 10-fold
in severely obese persons. The NHANES II data found that the overall relative
risk of having diabetes was 2.9 times higher for obese persons who are 20 to
75 years of age. A prospective study in Scandinavia showed that moderate obesity
was associated with a 10-fold increase in the risk for diabetes. This
risk increased steeply as obesity became more severe. Increasing weight
is associated with a greater prevalence of gallbladder disease in both crossectional
and longitudinal studies. Gallstones occur three or four times more often
in obese than in nonobese persons. The prevalence increases with age and
with increasing obesity. Obesity affects respiratory function. Increased
fat in the chest wall and abdomen reduces lung volume, alters the respiratory
pattern, and causes a decreased compliance of the respiratory system.
Vital capacity and total lung capacity are frequently diminished. In more
severe obesity, a ventilation-perfusion abnormality occurs which is characterized
by hypoxia but normal arterial Pco2. As the severity of obesity increases
sleep apnea occurs with greater frequency. An increased prevalence of
osteoarthritis with increasing weight has been described repeatedly in cross-sectional
studies As weight increase in men and women, the prevalence of osteoarthritis
increased from 0.75% to 1.45% in men and from 0.4% to 1.45% in women.
( Pi-Sunyer, FX, Medical Hazards of Obesity, Ann. Intern. Med. 1993;119(7 PT
2):655-660)
Patients who are more that 50% overweight have been found to have a 50% prevalence
of left ventricular hypertrophy (LVH), an abnormal enlargement of the heart.
Obesity produces predominately LVH and left ventricular chamber dilation or
eccentric hypertrophy. Body weight and body surface area have been shown
to be powerful determinants of left ventricle chamber size, wall thickness,
and muscle mass. When compared with lean counterparts obese patients with
eccentric LVH had a markedly increased prevalence and complexity of ventricular
ectopy. These findings demonstrate a greater risk for sudden death and
other cardiovascular morbidity and mortality. (Lavie, CJ, Messerli, FH,
Cardiovascular Adoption to Obesity and Hypertension, Chest, 1986, Aug; 90 (2):
275-279). Additionally, when compared to a non-arthritis group, those
with severe overweight (> 30 BMI) arthritis had significantly greater difficulty
with activities of daily living (personal care and household tasks), gross mobility
(walking) and functional limitations. (Verbugge, LM, Risk Factors For Disability
Among U.S. Adults with Arthritis, J. Clin Epidemiol, 1991, 44;2:167-182
The impact of obesity on the health related quality of life (HRQL) can be measured
with the widely used Medical Outcomes Study Short Form 36 Health Survey (SF-36),
a self-administered 36 item questionnaire that assesses 8 domains of functioning.
Compared with general population norms, participants with a mean BMI of
38.1 reported more impairment on all eight quality of life domains, especially
bodily pain and vitality. Those with a mean BMI of 48.7 reported significantly
worse physical, social, and role functioning, worse perceived general health,
and greater bodily pain than did either those with mean BMIs of 29.2 to
34.5. Persons with obesity reported significantly greater disability
due to bodily pain than did patients with other chronic medical conditions with
the exception of migraine. Using the HRQL makes it possible to quantify
the magnitude of the effects of a particular medical condition and to
make comparisons with persons experiencing other medical ills or with those
having no medical condition. This study found that, ,relative to U.S. population
norms, obese persons seeking university-based weight loss treatment reported
substantial decrements in HRQL, that the impact of obesity on HRQL varied with
severity of obesity, and that functional disability among obese persons due
to bodily pain was particularly common - comparable to that of chronic migraine
sufferers. Compared with patients in the other obesity severity classifications,
obese persons in the mean BMI category of 48.7 scored worse in all domains
except mental health and role limitations due to emotional problems. The
pattern of these results indicates that as weight increases, HRQL related to
the physical domains becomes more adversely affected. The authors state,
Interestingly, obesity had the most adverse effect on the bodily pain
scale. Although obesity has been known to be associated with musculoskeletal
or joint-related pain, the impact of this pain on functioning and well-being
has not been well-documented. Because the SF-36 bodily pain scale measures
the severity of pain as well as the extent to which it affects normal day-to-day
activities, it can serve as a marker of disability associated with excessive
body weight. (Fontaine KR, Health-Related Quality of Life in Obese Persons
Seeking Treatment. J. Fam Pract, 1996, Sept;43(3):265-279).
In an investigation of the relationship between body mass index, weight change
and the onset of disability in older women. The BMI range for the two cohorts
in this study was from 22.9 to 28, far below the Social Security Administration
Listing of Impairment level. The author notes:
Several avenues of study
point to the contribution of body weight to the development of disability in
older persons. High body mass index (BMI) , a measure of weight standardized
for height, has been shown to be positively associated with prevalent disability,
with new disability pensions issued to young and middle-aged adults, and with
short-term risk for developing problems in physical functioning among the oldest-old.
Other studies have shown an increased risk for disability in association with
diseases related to weight status, including cardiovascular disease, arthritis,
diabetes, and pulmonary disease. These studies suggest an important long-term
contribution of body weight to the onset of disability in older women, although
none have addressed this issue....In both cohorts, the crude rate of incident
disability increase with level of past BMI. After adjustment for age,
education, cigarette smoking, and study time, high past BMI was associated with
a twofold increase in the risk of disability while mid past BMI was positively
but nonsignificantly associated with disability....High BMI may influence the
risk for disability in several ways, including increasing wear and tear on various
joints or reducing the flexibility of movement. High BMI may also be a
proxy for inactivity and disuse, which lead to a reduced capacity or reserve
in neurological and musculoskeletal systems and functional decline. High
BMI may also increase the risk for diseases that may have a more direct impact
on the development of disability... . This study suggests that a high BMI is
an important contributor to disability and should be of major concern in the
attempt to compress morbidity in later years. (Launer, LJ, Body Mass Index,
Weight Change, and Risk of Mobility Disability In Middle-aged and Older Women,
The Epidemiologic Follow-up Study of NHANES I, JAMA, 1994, 27;114: 1093-1098)
Similarly, in the Swedish Obesity Study (in which obesity was defined as a BMI
of 30 or greater):
BMI proved to be associated
with risk of disability pension and also with mortality. These findings
support the results gained by other investigators, who found that overweight
increased the risk for early retirement. The high pension rate among the
obese men was, as expected, mainly a result of an increased morbidity
in illnesses that are related to obesity, e.g., diseases of the circulatory
and musculoskeletal systems. The risk of disability from mental disorders
was increased as well, a finding contradictory to previous results....Thus,
according to the findings in this study, obesity in particular remains a risk
factor for disability and mortality. Severe overweight also affects risk of
morbidity in a wider context, quality of life and for society, increased costs
for health care and loss of productivity. (Mansson N, Body Mass Index
and Disability Pension in Middle-Aged Men - Non-Linear Relations, International
Journal of Epidemiology, 1996,25;1:80-85)
The relationship between BMI and the ability to perform functional tasks among
community-dwelling elderly concluded in the following:
This study demonstrates
that nutritional status, as indicated by the body mass index, is related to
the functional capabilities of community-dwelling elderly. This relationship
fits roughly the same U-shaped curve that had previously described the relationship
between mortality and body mass index. Thus, it is not only the person who is
overweight (excessive weight for height) that is at risk for functional disability,
but also the underweight person (low weight for height). Furthermore,
low and high body mass index were still related to functional status when other
pertinent variables were controlled for through multivariate analysis, and even
after sample members who had died within 2 years of the completion of the study
were removed. (Galanos, AN, Nutrition and Function: Is there A Relationship
Between Body Mass Index and the Functional Capabilities of Community-Dwelling
Elderly?, J. Amer Geront Society, 1994, April, 42;4:368-373)
Further evidence of the relationship of obesity to the likelihood of engaging
in significant gainful employment can come from looking at the lost work days
due to obesity and the use of medical resources. A report published in March
of this year by Anne M. Wolf and Graham A. Colditz, estimated costs of obesity
in the United States. Their research demonstrated a 88% increase in physician
office visits associated with obesity from 42.9 million in 1988 to 81.2 in 1994,
using a BMI cutoff of 25 for overweight and 30 for obesity. In addition,
they report a total of 52,591,480 work days were lost because of obesity which
amounted to approximately $4.9 billion in 1995. In 1994, there was a total of
58,456,780 work-lost days, amounting to approximately $5.7 billion in 1995.
70% of the work-lost days from obese women. (Wolf, AM, Colditz, GA, Current
Estimates of the Economic Cost of Obesity in the United States, Obesity Research,
1998, Mar. 6:2:97-106)
The devastating employment discrimination directed against persons with severe
obesity has also been studied. In one such study, 80% of all preoperative patients
and 84% of the female patients in this group continued to be unemployed while
those figures dropped to 53% and 64% in the postoperative group, respectively.
Overweight as the reason for unemployment was more frequent in the preoperative
group, whereas full-time housekeeping was the main reason for unemployment in
the postoperative group. This study reported that the chances of successful
employment increase after weight-reducing surgery. The higher employment
rate and possibly job promotion resulted in a higher yearly income of the overall
postoperative group.... Several studies on economic changes showed increased
employment and income after surgically induced weight loss. Hawke et al studied
the physical activity and social status of 240 patients 3 years after gastric
restrictive surgery. They found that full and part-time employment increased
from 38% before to 60% after surgery. Naslund and Argren compared the socioeconomic
status of 79 patients after gastric restrictive surgery with a similar group
of 54 nonsurgical patients. After surgical treatment, 81% of the patients were
employed compared with 65% of the nonsurgical patients. (Gemert, WG, Quality
of Life Assessment of Morbidly Obese Patients: Effect of Weight-Reducing Surgery,
Am J. Clin Nutr 1998;67:197-201)
According to Stunkard and Wadden,
Canning
and Mayer reported lower acceptance rates into prestigious colleges for obese
high school students compared with normal-weight students, even when controlling
for all other relevant variables. Similarly, Pargaman found obese students seriously
underrepresented in a private college. When they seek employment and on the
job, obese persons face further discrimination. Roe and Eickwort reported 16%
of employers said that they would not hire the obese women under any condition
and an additional 44% would hire them only under special circumstances. A careful
study of executives revealed that discrimination against the obese is further
manifested in their earning potential: it has been estimated that each pound
of fat cost an executive $1000/year. (Stunkard, AJ, Wadden, TA, Psychological
Aspects of Severe Obesity, Am J. Clin Nutr, 1992;55:524S-532S).
Individuals with obesity perceive discrimination and prejudice against
them as their heaviest burden. This paper reported improvements in employment
of patients after bariatric surgery in South Australia, Sweden and the United
States. (Kral, JG, et al. Assessment of Quality of Life Before and After Surgery
for Severe Obesity, Am J. Clin Nutr, 1992, Feb,: 55 (2 Suppl):611s-614s)
There is a well-documented connection between obesity and employment
discrimination, and employment-related victimization. (Popovich, PM, Criteria
Used to Judge Obese Persons in the Workplace," Perceptual and Motor Skills,
December 1997, Vol. 85, Pages 859-866) (Rothblum, ED, The Relationship between
Obesity, Employment Discrimination, and Employment Related Victimization,"
Journal of Vocational Behavior, 1990;37: 251-266.)
III.
PUBLIC POLICY OBJECTIONS
A. The Obesity Listing
Furthers the Social Security Administration's Goals
The medical criteria for obesity
in the listing of impairments serves a useful function in the adjudication of
claims. The listing puts emphasis on objective medical findings, promoting
uniform, fair decision-making throughout the Social Security Administration's
many disability determination offices. It permits the agency to identify
disabled individuals efficiently and objectively. Eliminating the obesity
listing means that the agency will have to conduct unnecessary one-by-one evaluations.
This additional processing time will result in hardship to claimants and increased
costs to the Social Security Administration.
Continuation of the current process will not disadvantage the Social Security
Administration. If the Social Security Administration believes that an individual
claimant who meets the listing is, engaged in substantial gainful activity,
it has the authority to deny or to cease benefits and protect its resources.
The failure of the Social Security Administration to adhere to the Administrative
Procedures Act is a civil rights violation in that it particularly harms women
and minorities. The Social Security Administration's failure to articulate
a sound reason to eliminate this impairment from the listing discriminates against
a particular disability and violates the Rehabilitation Act of 1973 and the
Americans with Disabilities Act of 1990.
The Social Security Administration has failed to identify the medical
or scientific basis for its proposal to eliminate obesity from the listing of
impairments. This leaves no lawful grounds on which to base this proposal,
inviting speculation as to the real reasons for selecting persons with severe
obesity for termination of disability benefits. This speculation erodes
the public confidence in the Social Security Administration.
B.
The Proposed Change Unfairly Subjects Persons with Severe Obesity to Stigma
and Discrimination
Most importantly, the proposed change will promote the expression of
bias against persons with severe obesity. The proposal to eliminate obesity
from the Listing of Impairments will leave persons with severe obesity vulnerable
to bias against them on the basis of their disability. Obesity is a particularly
unpopular and unsympathetic impairment. It is immediately visible to others
and impossible to conceal. Many Americans inversely link a person's weight
and size to their moral measure. The degree of obesity is often directly
related to the level of prejudice and discrimination confronted in social and
employment settings. (Cassell, JA, Social Anthropology and Nutrition:
A Different Look at Obesity in America, Journal of the American Dietetic
Association, 1995, April, 95;4:424.)
As indicated earlier, persons at the level of obesity with a BMI >40
are not a well studied population. These individuals do present to bariatric
surgeons for assistance. Therefore, the experience of bariatric surgeons is
of particular importance. According to George S. M. Cowan, Jr, MD , President
of the International Federation for the Surgery of Obesity:
The morbidly obese appear
to their fellows as billboards of their own nonconformity. The larger
they grow, the more people view them as flaunting society, flaunting convention,
deviating from societys accepted wisdom of not letting yourself
go. As such, they tend to be visualized as deviants placed on a
level together with transvestites, alcoholics, drug addicts and homosexuals.
All of these categories but the obese are, to some extent, currently protected
by political correctness; as a consequence, the morbidly obese person
has assumed the role of a modern day moral equivalent of a leper. (Cowan,
GSM, What do Patients, Families and Society Expect From the Bariatric Surgeon?
Ob Surg. 1998;8:77-85)
It is well established that persons with severe obesity suffer from extraordinary
stigma in our society. Researchers summarized the experiences found in their
study:
Discrimination against
the obese occurs in hiring and promotion opportunities and in acceptance to
college. Official guidelines limit the weight of military personnel and
commercial flight attendants. Obese individuals also pay higher life insurance
premiums. It is probable that morbidly obese adults arouse more prejudice
and experience more discrimination than adults who are less obese... Far
more prejudice and discrimination appear to be directed against obese women
than against obese men... Preoperatively, patients reported experiencing
an overwhelming amount of prejudice and discrimination; postoperatively, patients
reported experiencing almost no prejudice or discrimination.... Preoperatively,
40% or more of patients answered always or usually
to every item describing acts of prejudice or discrimination and to the two
items on access to public facilities. More than 80% of the patients answered
always or usually in the following four situations:
I feel that my weight has negatively affected whether or not I have been
hired for a job (86.9%); At work people talk behind my back and
have a negative attitude toward me related to my weight (90.9%); I
do not like to be seen in public because of my weight (84.0%); and Because
of my weight I avoid fast food restaurants with booths (80.6%). .. No
patient reported the same degree of prejudice and discrimination experienced
postoperatively. (Rand, CS, Morbidly Obese Patients Perceptions
of Social Discrimination Before and After Surgery for Obesity, So. Med. J. 1990,
Dec, 83:12:13980-1395)
An
earlier paper noted,
The social stigma against obesity is extraordinary in its magnitude and
pervasiveness. As Fitzgerald (1981) notes: Public derision and condemnation
of fat people is one of the few remaining social prejudices...allowed against
any group based solely on appearance...It is well documented that obese people
are denied educational opportunities, jobs, promotions, and housing because
of their weight. The affront to those who are obese goes beyond the almost uniform
judgment that they are unattractive and includes negative stereotypes that begin
early in childhood. The aversion to obesity is evident by kindergarten and grade-school
children consistently associate larger body shapes with adjectives such as stupid.
dirty, lazy, sloppy, mean, ugly,
and sad...Harsh attitudes toward the obese depend on the assumption
that they bring their condition on themselves through lack of willpower and
self-control. (Garner, DM, Wooley, SC, Confronting the Failure of Behavioral
and Dietary Treatments for Obesity, Clinical Psychology Review, 1991,11;6:729-780)
Overweight during adolescence has social, economic and psychological
consequences, including effects on high school performance, college acceptance
and psychological performance. One study found a greater prevalence of overweight
among women who were downwardly mobile socially than among those who were upwardly
mobile. In a prospective study of 10,039 adolescents and young adults, their
social and economic characteristics and self-esteem were evaluated over seven
years. The results indicated that overweight adolescents and young adults marry
less often and have lower household incomes in early adult life than their nonoverweight
counterparts, regardless of their socioeconomic origins and aptitude test scores.
The authors conclude, Evidence from several studies indicates that obese
persons, particularly women, are highly stigmatized in the United States. There
is evidence of discrimination against obese person, including employer
prejudice, and lower-than-expected levels of occupational attainment among overweight
workers. (Gortmaker, SL, Social and Economic Consequences of Overweight
in Adolescence and Young Adulthood, , NEJM, 1993, Sept. 329;14:1008-1012)
Health professionals also hold negative stereotypes. Studies indicate
that their professional judgment is negatively influenced by their client's
weight. (McArthur, LH, Attitudes of Registered Dietitians toward Personal
Overweight and Overweight Clients, Journal of the American Dietetic Association,
1997, Jan;1: 63-66.) (Agell, G, Effects of Clients' Obesity and Gender
on the Therapy Judgments of Psychologists, Professional Psychology: Research
and Practice, 1991;22:3: 223-229.)
The negative bias that persons with severe obesity encounter is entrenched
throughout our society. Without objective medical criteria by which to
assess their disability, persons with severe obesity will be discriminated against
in the disability process.
The Social Security Administration is not immune to discrimination against
persons with severe obesity. In Stone v. Harris, 657 Fed. 2d, 210, (1981),
the Eighth Circuit Court of Appeals considered whether substantial evidence
supports a finding that Stone was able to perform gainful sedentary work.
Stone filed for disability when she was twenty-three years old. She was five
feet tall and weighed over 250 lbs. In addition to obesity, she had skeletal
deformities of the feet and could not stand for long periods. She reported pains
all over. She completed high school, the last two years by
correspondence so that she could avoid the ridicule her obesity drew. The Administrative
Law Judge found she was unable to work in her former jobs (dishwasher and motel
maid). The Social Security Administration challenged the disability determination
and a lower court concluded that Stones obesity had no established physiological
cause, therefore her obesity was remedial. The Court of Appeals wrote, The
agency is certainly not entitled to presumptions that obesity is remediable
or that an individuals failure to lose weight, is willful.
The notion that all fat people are self-indulgent souls who eat more than anyone
ought appears to be no more than the baseless prejudice of the intolerant svelte.
Modern studies debunk this myth. (Emphasis added)
[NB.
It is not clear if the intervening passage of the American with Disabilities
Act would be an additional claim in such a circumstance. Federal courts have
held that severe obesity is a disability under the Rehabilitation Act of 1973
(Codified as amended at 29 U.S.C. §§ 701-796) (Cook v. Rhode Island, 10 F.3d
17 1st Cir. 1993). ]
The Social Security Act is one
of the humanitarian hallmarks of America. It would violate the spirit of the
Act and sound public policy to withdraw income support and access to medical
care from individuals with severe obesity and one of the five complicating factors,
who have extraordinary risks of death and disease, suffer
stigma and discrimination on the basis of not one scientific study.
RECOMMENDATIONS
The medical, scientific,
legal and public health organizations submitting this comment, petition the
Social Security Administration to withdraw the proposal to eliminate obesity
from the listing of impairments. Further, we ask the Social Security Administration
to work with the represented organizations to evaluate the current criteria
and develop positive improvements in the Social Security Listing for obesity.