Key legal question
Whether SUVA had to continue benefits after 31 December 2005 because the accident effects remained causally linked to the ongoing complaints.
Extracted holding
No. By that date, no objectively verifiable somatic accident consequences remained; the psychiatric disorder was an independent condition and not adequately caused by the accident.
Extracted reasoning
The court found a mild traumatic brain injury, but the remaining impairment was predominantly psychiatric. Applying the ad hoc adequacy test for medium-severity accidents, the accident was not suitable to cause the psychological development and the required criteria were not met in cumulative or especially severe form.