The recent New Jersey Appellate Division decision in Amato v. Township of Ocean School District offers crucial insights into two important legal principles: judicial recusal and the definition of essential employees during the COVID-19 pandemic.
Jon L. Gelman
The judicial recusal dilemma
At the heart of the case was an unprecedented question: Can a judge who previously sponsored a bill as a legislator preside over a case involving that legislation? Judge Joann Downey, who had been an Assemblymember from 2016 to 2020 and sponsored the bill creating the essential employee COVID-19 presumption, faced a recusal motion from the School District.
The court's ruling was nuanced. It established that a former legislator is not automatically disqualified from hearing cases related to legislation she previously sponsored. The key considerations include:
Essential employee status during COVID-19
The case also comprehensively interprets who qualifies as an essential employee during the pandemic. For teachers specifically, the court's analysis was particularly noteworthy:
Key takeaways
Practical implications
For workers' compensation cases involving COVID-19 exposure, this decision:
The Amato decision represents a critical judicial interpretation of how institutions and workers navigated the unprecedented challenges of the COVID-19 pandemic.
Claimants' attorney Jon L. Gelman is the author of "New Jersey Workers’ Compensation Law" and co-author of the national treatise "Modern Workers’ Compensation Law." He is based in Wayne, New Jersey. This blog post is republished with permission.
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