The Appellate Division, citing Matter of Mannino v Department of Motor Vehs. of State of N.Y.-Traffic Violations Div., 101 AD3d 880, noted that "[to] annul an administrative determination made after a hearing directed by law at which evidence is taken, a court must conclude that the record lacks substantial evidence* to support the determination".
As the Mannino court, [supra] opined "... courts may not ... reject the choice made by [an administrative agency] where the evidence is conflicting and room for choice exists" and "deference must be given to the fact-finding and credibility determinations of the administrative agency"**.
Further, explained the Appellate Division, credibility determinations were for the ALJ to make and there is no indication that the Plaintiff's "right to cross-examine the ... officer was so circumscribed as to deprive him of a fair hearing. " The court then confirmed the Appeals Board's decision, denied Plaintiff's petition, and dismissed the proceeding on the merits, with costs.
* Substantial evidence, said the court, is "such relevant proof as a reasonable mind may accept as adequate to support a conclusion or ultimate fact."
** See Matter of LaChance v New York State Dept. of Motor Vehs., 159 AD3d 1014 at 1015.
Click HERE to access the Appellate Division's decision posted on the Internet.