Scott Paine v. Ride-Away, Inc., 174 N.H. 757


Summary

HOLDINGS: [1]-While RSA 354-A:2, IV precluded an illegal drug user or addict from asserting that his or her drug use or addiction was itself the basis for claiming a disability under the statute, plaintiff's claimed disability was post-traumatic stress disorder, not the illegal use of or addiction to a controlled substance; thus, the trial court erred in ruling that the use of therapeutic cannabis prescribed in accordance with New Hampshire law could not, as a matter of law, be a reasonable accommodation for his disability under RSA ch. 354-A.