Morrissey v. McGovern
Opinion of the Court
This is a proceeding by the widow of Deputy Fire Commissioner Morrissey of the City of Cohoes to review a determination by the Comptroller disapproving her application for an accidental death benefit under section 81 of the Civil Service Law. The decedent died while fighting a fire. The decedent and three other firemen were engaged in carrying injured firemen by stretcher to an ambulance. As the firemen were hurrying back from the ambulance to pick up another injured fireman, they looked back and found the decedent lying face down on the ground (in the language of the Comptroller’s finding) “ across two hose lines, with his foot hooked in one of them ”. The decedent died shortly thereafter in an ambulance while en route to the hospital. It was found that the decedent had been suffering from a “ moderate degree of coronary sclerosis ”. The cause of death was given as “ coronary insufficiency due to coronary sclerosis ”. The petitioner’s counsel apparently conceded that the overexertion which led to the heart attack could not of itself be treated as an accident within the meaning of section 81. This concession was amply justified. It is now settled that the Comptroller has the power to determine that strain or overexertion resulting in a heart attack does not constitute an accident for the purpose of administering the retirement system, notwithstanding the fact that it may constitute an accident for workmen’s compensation purposes (Matter of McCadden v. Moore, 276 App. Div. 490, affd. 301 N. Y. 760; Matter of Odell v. McGovern, 283 App. Div. 585, affd. 308 N. Y. 678; Matter of Owens v. McGovern, 283 App. Div. 898). The petitioner’s theory was that the decedent tripped on the hose and fell as a result of this accidental tripping and that the shock of the fall contributed materially to the heart attack and to the resulting death. It was the State’s theory that the decedent did not trip over the hose but that he collapsed as a result of the heart attack and that
Case-law data current through December 31, 2025. Source: CourtListener bulk data.