Chadwick v. Board of Registration in Dentistry

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This was an action for judicial review of a final decision and order of the board suspending Stephen Chadwick's license to practice dentistry in Massachusetts. Because the court agreed that the United States Supreme Court's decision in Gade v. National Solid Wastes Mgt. Ass'n applied to the disciplinary proceeding, the court concluded that, while the board could mandate compliance with the Occupational Safety and Health Act (OSHA), 29 U.S.C. 651 et seq., standards in dental practices and sanction dentists for professional misconduct after OSHA determined that a violation had occurred, the board could not interpret, apply, and enforce OSHA standards regarding workplace safety on its own record. The court further concluded that the preemptive effect of OSHA articulated in Gade also barred the board from sanctioning Chadwick based on conduct it found to be violative of Centers for Disease Control and Prevention (CDC) guidelines and department regulations, where such action constituted the direct and substantial regulation of occupational safety and health issues for which Federal OSHA standards were in effect. The court further concluded that the board's one finding unrelated to a formal OSHA standard was supported by substantial evidence View "Chadwick v. Board of Registration in Dentistry" on Justia Law