In the United States Court of Federal Claims
OFFICE OF SPECIAL MASTERS
Filed: October 8, 2021
* * * * * * * * * * * * *
TIMOTHY KOLLER, * PUBLISHED
*
Petitioner, * No. 16-439V
*
v. *
* Special Master Gowen
SECRETARY OF HEALTH *
AND HUMAN SERVICES, * Entitlement; Pneumococcal
* Conjugate Vaccination (“Prevnar”);
Respondent. * Guillain-Barré Syndrome (“GBS”).
*
* * * * * * * * * * * * *
Maximillian J. Muller, Muller Brazil, LLP, Dresher, PA, for petitioner.
Dhairya D. Jani, U.S. Department of Justice, Washington, D.C., for respondent.
RULING ON ENTITLEMENT1
On April 6, 2016, Timothy Koller (“petitioner”) filed a petition for compensation under
the National Vaccine Injury Compensation Program.2 Petitioner alleges that the pneumococcal
conjugate vaccination (“Prevnar 13” or “Prevnar”) he received on May 13, 2015 was the cause-
in-fact of his Guillain-Barré Syndrome (“GBS”). Petition at Preamble (ECF No. 1); Petitioner’s
Post-Hearing Brief at Preamble (ECF No. 65). Based on a full review of the evidence and
testimony, I find that petitioner is entitled to compensation.3
1
In accordance with the E-Government Act of 2002, 44 U.S.C. § 3501 (2012), because this opinion contains a
reasoned explanation for the action in this case, this opinion will be posted on the website of the United States
Court of Federal Claims. This means the opinion will be available to anyone with access to the internet. As
provided by 42 U.S.C. § 300aa-12(d)(4)B), however, the parties may object to the published Decision’s inclusion of
certain kinds of confidential information. Specifically, under Vaccine Rule 18(b), each party has 14 days within
which to request redaction “of any information furnished by that party: (1) that is a trade secret or commercial or
financial in substance and is privileged or confidential; or (2) that includes medical files or similar files, the
disclosure of which would constitute a clearly unwarranted invasion of privacy.” Vaccine Rule 18(b). If neither
party files a motion for redaction within 14 days, the entire opinion will be posted on the website and available
to the public in its current form. Id.
2
The National Vaccine Injury Compensation Program is set forth in Part 2 of the National Childhood Vaccine
Injury Act of 1986, Pub. L. No. 99-660, 100 Stat. 3755, codified as amended, 42 U.S.C. §§ 300aa-10 to 34 (2012)
(hereinafter “Vaccine Act” or “the Act”). Hereinafter, individual section references will be to 42 U.S.C. § 300aa of
the Act.
3
Pursuant to Section 300aa-13(a)(1), in order to reach my conclusion, I have considered the entire record including
all of the medical records, statements, expert reports, and medical literature submitted by the parties. This opinion
discusses the elements of the record I found most relevant to the outcome.
I. PROCEDURAL HISTORY
Petitioner filed his petition on April 6, 2016, alleging that the Prevnar 13 vaccination he
received on May 13, 2015 caused him to suffer GBS. Petition at Preamble. The petition was
accompanied by medical records. Petitioner’s Exhibits (“Pet. Ex.”) 1-7. After an initial status
conference, the respondent filed a status report stating that the record is substantially complete,
and that the respondent intends to defend against the claim. Respondent (“Resp.”) Status Report
(“Rept.”) (ECF No. 13).
On September 30, 2016, petitioner filed an expert report by Lawrence Steinman, M.D.,4
Pet. Ex. 8 (ECF No. 16). Dr. Steinman opined that the Prevnar 13 vaccine caused petitioner’s
GBS, proposing a medical theory of causation of molecular mimicry. Id. at 9. Dr. Steinman also
opined that petitioner’s development of GBS was within a medically appropriate temporal
timeframe. Id. at 8.
On March 8, 2017, respondent filed his Rule 4(c) Report, recommending against
compensation in this case. Resp. Rept. at 8. Specifically, respondent stated that petitioner’s
medical theory of causation was not credible, none of petitioner’s doctors attributed his GBS to
the Prevnar vaccine, and that a temporal association alone is insufficient to establish entitlement.
Id. at 6-8. The same day, respondent filed an expert report from Thomas P. Leist, M.D., PhD.5
Resp. Ex. A (ECF No. 27).
4
Dr. Lawrence Steinman is a Professor of Neurological Sciences, Neurology and Pediatrics at Stanford University
Medical Center. Pet. Ex. 8; Pet. Ex. 10, Tab 3. Dr. Steinman received his undergraduate degree from Dartmouth
College in 1968 and graduated from Harvard University Medical School in 1973. Pet. Ex. 10, Tab 3 at 1. He had
his post-graduate training at Stanford University Hospital and completed a Pediatric and Adult Neurology residency
in 1980. Dr. Steinman is board certified in Psychiatry and Neurology. Id. at 2. Dr. Steinman has cared for adult
and pediatric patients with various forms of inflammatory neuropathy, including, GBS, transverse myelitis, acute
disseminated encephalomyelitis, neuromyelitis optic and multiple sclerosis. Pet. Ex. 8 at 1. Additionally, Dr.
Steinman has served on multiple National Institutes of Health’s (“NIH”) expert panels pertaining to vaccination,
including the Advisory Committee on Pertussis Immunization and the Immunological Sciences Study Section. Id. at
1. Dr. Steinman was awarded the Charcot Prize for Lifetime Achievement from the International Federation of MS
Societies for his work in multiple sclerosis research. Id. at 2. In 2015, Dr. Steinman was elected to the National
Academy of Science. Id. Dr. Steinman has authored or co-authored over 100 medical articles. Pet. Ex. 10, Tab 3 at
5-43. Additionally, Dr. Steinman has testified before the Vaccine Court as an expert in neurology and immunology.
As such, I admitted Dr. Steinman as an expert in neurology and immunology, with a specialty in neuroimmunology
in this case. See Tr. 10.
5
Dr. Thomas Leist is a neurologist licensed to practice medicine in Pennsylvania, Maryland and New York. Resp.
Ex. B at 1. He received his undergraduate degree from University of Zurich in Switzerland in 1982. Id. Dr. Leist
received his PhD in biochemistry from the University of Zurich in 1985. Id. Dr. Leist received his medical degree
from the University of Miami in Miami, Florida in 1993. He had his residency in Neurology at the Cornell Medical
Center/Sloan Kettering Memorial Cancer Center in New York. From 1997-2000 Dr. Leist was a clinical senior staff
associate at NINDS at the NIH in Bethesda, MD. Dr. Leist is board certified in Psychiatry and Neurology and
neuroimmunology. Id.; Tr. 66. Dr. Leist is currently a Professor of Neurology at the Thomas Jefferson University
and is the Chief, Division Clinical Neuroimmunology Director at the Comprehensive Multiple Sclerosis Center. Id.
In this role, Dr. Leist treats patients with multiple sclerosis, neuromyelitis optic, and GBS. Tr. 67. Dr. Leist also
serves on the Clinical Advisory Committee at the National Multiple Sclerosis Society. Id. at 3. Additionally, he has
authored or co-authored over 50 medical articles that were published in peer-reviewed medical journals and
2
On April 25, 2017, I held a Rule 5 Status Conference, where I indicated that it appeared
that petitioner had a Miller-Fisher variant of GBS and that the timing in this case appeared to be
medically appropriate. Rule 5 Order (ECF No. 28). I requested that the parties file supplemental
expert reports and to answer specific questions related to the components of the Prevnar 13
vaccine and how those components can cross-react with myelin. Id. On June 14, 2017,
petitioner filed a supplemental expert report from Dr. Steinman. Pet. Ex. 10. Respondent filed a
supplemental report by Dr. Leist on October 10, 2017. Resp. Ex. C (ECF No. 35).
On October 31, 2017, I held another status conference in the case, where respondent
remained committed to a litigative track. Order (ECF No. 36). I held another status conference
on September 13, 2019 and issued a pre-hearing order on October 15, 2019, outlining a schedule
for pre-hearing submissions and set a date and location for an entitlement hearing. Pre-Hearing
Order (ECF No. 41).
On January 21, 2020, the parties filed a joint submission, explaining that they did not
dispute that petitioner suffered from the Miller-Fisher variant of GBS and that the issues that
remained to be resolved were: (1) whether the Prevnar-13 vaccination can cause the Miller-
Fisher variant of GBS; and (2) whether petitioner’s Miller-Fisher variant of GBS was caused by
his receipt of a Prevnar-13 vaccination on May 13, 2015. Joint Pre-Hearing Submission (ECF
No. 51). Both parties filed pre-hearing briefs. See Pet. Pre-Hearing Brief (ECF No. 47); Resp.
Pre-Hearing Brief (ECF No. 48).
Observing that some of the language included in petitioner’s expert reports was
confusing, I held another status conference on February 4, 2020 explaining that one of the key
issues that the experts needed to address was whether phospholipids are present in the Prevnar-
13 vaccine and whether the phospholipid is essential to achieving the immunogenicity desired.
Scheduling Order (ECF No. 56).
An entitlement hearing was held on February 6, 2020, where Dr. Steinman testified on
behalf of petitioner and Dr. Leist testified on behalf of respondent. At respondent’s request, the
parties submitted post-hearing expert reports to address issues raised because of Dr. Steinman
clarifying his theory during the hearing. Dr. Leist filed his response to the trial testimony with
an explanation of terminology and his basis of his disagreement as to causation and Dr. Steinman
provided an extensive report detailing his theory in response. See Resp. Ex. E; Pet. Ex. 16.
Petitioner filed a post-hearing brief on October 30, 2020. Pet. Post-Hearing Brief (ECF
No. 65). On March 4, 2021, respondent filed a post-hearing brief. Resp. Post-Hearing Brief
(ECF No. 68). Petitioner did not file a reply.
This matter is now ripe for adjudication.
participated as a researcher in multiple clinical trials. Id. at 11. Dr. Leist has testified before the Vaccine Court as
an expert in neuroimmunology and I admitted him as such for this case. Tr. 69
3
II. FACTUAL HISTORY
On May 13, 2015, petitioner, a 65-year-old male, presented to Dr. Dallas Bogner for an
initial Medicare examination. Pet. Ex. 1 at 2. His physical exam was normal, and he was
counseled to exercise for 150 minutes per week and a prostate cancer screening was
recommended. Id.at 6. At this appointment, the Pneumococcal 13-Valent Conjugate vaccine
was administered to the petitioner. Id. at 8.
On May 27, 2015, petitioner presented to the Theda Clark Emergency Department
complaining of left sided facial weakness. Pet. Ex. 6 at 1. Petitioner explained that two days
prior, he had a headache, body aches and difficulty sleeping. Id. That morning, petitioner
developed left sided facial droop while brushing his teeth. Id. He denied fever, chills, nausea,
vomiting, diarrhea, abdominal pain, double vision, generalized weakness or paresthesias. Id.
Neurologist, Dr. Thomas G. Mattio, examined petitioner in the emergency department. Id. at 9.
During the consultation, petitioner also explained he had a loss of taste the night before. Id. The
physical exam revealed petitioner had left eye closure weakness and left facial weakness “with
decreased wrinkling of the left forehead.” Id. at 10. Dr. Mattio assessed petitioner with “very
early Bell’s palsy,” and recommended a course of steroids. Id. Dr. Mattio directed that if
petitioner developed any other weakness, he should return to the emergency department. Id.
Petitioner was discharged to home.
On May 28, 2015, the following day, petitioner returned to the Theda Clark Emergency
Department, this time indicating that he had developed right side weakness as well. Pet. Ex. 6 at
11. Petitioner described a metal taste in his mouth and worsening word pronunciation. Id. An
MRI of petitioner’s head was ordered. Id. Petitioner was again discharged with Bell’s palsy and
it was recommended he continue with his steroid course and follow-up with a neurologist. Id. at
16.
On June 1, 2015, petitioner returned to the Theda Clark Emergency Department, with a
complaint of difficulty walking. Pet. Ex. 6 at 19. Petitioner explained that he was taking
prednisone after being diagnosed with Bell’s palsy. Id. Since his last emergency department
visit on May 28, 2015, petitioner had developed low back tightness with radiation down both
buttocks and leg weakness to the point where he needed to utilize a walker to ambulate. Id.
Petitioner explained that he had received the Prevnar vaccine on May 13 and was “wondering if
the symptoms may be related to [the vaccination].” Id. A physical exam revealed petitioner had
absent patellar and Achilles reflexes bilaterally and a cranial nerve deficit was present. Id. at 22.
It was noted that petitioner had a “waddling gait”, and petitioner could not go from squatting to
standing due to weakness. Id. Petitioner was admitted to the hospital. Id. At the time of his
admission there was a “high concern for a demyelinating condition,” and his differential
diagnosis included, “atypical Guillain-Barre syndrome, inflammatory demyelinating
polyneuropathy, myositis….” Id. at 23. An MRI of petitioner’s thoracic and lumbar spine
revealed an abnormal enhancement of the ventral nerve roots at the lumbosacral plexus typical of
acute inflammatory demyelinating polyradiculoneuropathy (Guillain-Barre syndrome). Pet. Ex.
7 at 134.
4
Petitioner was assessed by neurologist Dr. Steven W. Huder upon admission. Pet. Ex. 6
at 26. He reviewed petitioner’s MRI of the thoracic and lumbar spine which revealed
enhancement of the ventral nerve roots of the lumbosacral plexus consistent with demyelination.
Id. He observed that petitioner was areflexic diffusely and he could not elicit plantar responses.
Id. at 28. Dr. Huder diagnosed petitioner with, “probable Guillain-Barre syndrome with bilateral
facial nerve involvement as well as lower extremity involvement with the lumbosacral plexus.”
Id. Dr. Huder ordered a lumbar puncture. Id. The lumbar puncture revealed an elevated CSF
protein of 182 and WBC of 2. Id. at 29. As a result, Dr. Huder ordered that petitioner begin
plasmapheresis. Id. at 31.
Petitioner had a consult with nephrologist, Dr. Riess Sagers. Id. at 31. Dr. Sagers noted
that petitioner was admitted for progressive lower extremity weakness accompanied by
numbness and pain. Id. Dr. Sagers also wrote, “Lumbar puncture done. Felt to have Guillain-
Barré syndrome following vaccination.” Id.
On June 3, 2015, following plasmapheresis, petitioner reported increased numbness in his
feet and that his legs were getting weaker. Pet. Ex. 6 at 58. Additionally, his fingers were
getting numb, and his facial weakness was unchanged. Id. The following day, on June 4, 2015,
petitioner had new horizontal diplopia, worse in the right than left, left hand weakness and
numbness in his fingertips. Id. at 68. This was the third day of the plasmapheresis. Dr. Hudson
noted that petitioner’s diagnosis was, “Miller-Fisher variant Guillain-Barre syndrome, after
vaccination. Still with subtle daily worsening, but autonomically fairly stable, swallow and
breathing preserved thus far...continue plasma exchange for at least 5 days consecutively.” Id. at
69-70.
Petitioner received an additional five-day course of plasmapheresis. Pet. Ex. 6 at 102-03.
On June 8, 2015, petitioner was discharged to inpatient rehabilitation, despite continuing
plasmapheresis treatment. Id. Petitioner was seen by Dr. Scott G. Powley the same day and he
noted that petitioner was, “A 65-year-old right-handed male with onset of Miller Fisher variant
Guillain-Barré syndrome, likely due to pneumococcal vaccine he received a week to a week and
half earlier. He has had improvement with plasmapheresis, but still has substantial deficits.” Id.
at 107. Dr. Powley observed that petitioner is a very good candidate for inpatient rehab and
petitioner is extremely motivated. Id.
Petitioner was discharged from the Theda Clark Medical Center to home with ongoing
outpatient physical therapy and occupational therapy. Pet. Ex. 6 at 150-52. Petitioner’s
discharge diagnosis was Guillain-Barré syndrome (Miller-Fisher variant). Id. at 149. Upon
discharge, petitioner was utilizing a four-wheeled rollator, and continued to have aching
discomfort. Id. at 152.
On July 3, 2015, petitioner had a hospital follow-up appointment with his primary care
physician, Dr. Bogner. Pet. Ex. 3 at 6. It was recorded that petitioner’s diagnosis was,
“Guillain-Barré syndrome following vaccination; leg weakness, bilateral; and neuropathic pain.”
Id. Dr. Bogner noted that petitioner was “making an impressive improvement from Guillain
Barré after Prevnar vaccination. He feels daily improvement, with still symptoms of diplopia,
5
neuropathic back pain, facial paralysis, leg weakness.” Id. at 10. Dr. Bogner also indicated that
he would “report vaccine incident.” Id.
On August 3, 2015, petitioner had a neurology follow-up appointment with Dr. Gizell
Larson. Pet. Ex. 2 at 13. At this appointment, Dr. Larson wrote, “[Petitioner] was hospitalized
for a long time at Theda Clark with Miller Fisher variant of Guillain-Barré syndrome that
developed within 1 week of receiving a pneumococcal vaccine.” Id. Dr. Larson stated that
petitioner had just recently started to move his toes, but still has balance and strength issues,
along with loss of sensation on his face and lower distal extremities. Id. Dr. Larson also wrote,
“Patient and wife reported the event to the vaccine reporting office. I do believe that this is,
indeed, due to the pneumococcal vaccine.” Id. (emphasis added). Petitioner’s diagnosis was,
“Recovering Miller Fisher-variant Guillain-Barre syndrome status post pneumococcal vaccine,
residual bifacial palsy with concern about corneal desiccation/ulceration.” Id. at 14.
Petitioner had a follow-up appointment with Dr. Scott Powley at Thedacare Orthopedics
Plus Center for Rehabilitation Services on August 20, 2015. Pet. Ex. 4 at 3. Dr. Powely noted
that petitioner’s symptoms came on shortly after receiving the pneumonia vaccine and he was
hospitalized at Theda Clark. Id. Petitioner reported that physical therapy was improving his gait
and movement and that he was doing water exercises on his own. Id. Dr. Powley noted that the
right-side of petitioner’s face had regained strength, but the left side was still plegic. Id.
Additionally, petitioner reported ongoing neuropathic pain in his feet and hands but was
gradually decreasing his dose of gabapentin. Id. After a physical exam, Dr. Powley’s impression
was that petitioner had Miller Fisher variant of GBS “shortly after receiving the pneumonia
vaccine,” and that petitioner had improved since hospitalization, but not yet back to baseline. Id.
at 4.
On October 20, 2015, petitioner had another appointment with Dr. Powley. Pet. Ex. 4 at
1. Dr. Powley noted that petitioner continued to show slow improvement since the previous
appointment, and he had gained more motion in his face on the right side. Id. Petitioner
explained that he was still having abnormal sensation in both feet, especially in the evening. Id.
Dr. Powley observed that petitioner was still unable to close both his eyes totally and had
primarily left facial paralysis, despite improvements. Id. at 2. Dr. Powley indicated that
petitioner could follow-up as needed. Id.
On November 10, 2015, petitioner had a follow-up appointment with Dr. Gizell Larson.
Pet. Ex. 2 at 11. Dr. Larson explained, “I saw [petitioner] for follow-up for Miller Fisher variant
of Guillain-Barré due to pneumococcal vaccine. His syndrome was quite severe, requiring
multiple rounds of IVIG.” Id. Dr. Larson explained that petitioner’s primary residual symptom
is bifacial palsy and that petitioner had difficulty closing his eyes. Id. Additionally, petitioner’s
lower facial paralysis affects his ability to speak and that he does not have normal facial
expression. Id. Dr. Larson stated that petitioner could not purse his lips, making drinking from a
glass or straw difficult and he had residual fine motor control issues. Id. Dr. Larson
recommended that petitioner avoid immunizations and continue to avoid alcohol. Id. Dr.
Larson’s impression was, “Continuing recovery status post severe postvaccination Miller Fisher
variant Guillain-Barre.” Id. at 12.
6
On September 20, 2017, petitioner had an annual wellness exam. Pet. Ex. 11 at 26-
34. The physical exam revealed that petitioner had hypoactive reflexes in his knees and ankles
bilaterally. Id. at 33. Relevant to this case, petitioner was diagnosed with “Guillain-Barré
syndrome,” and it was noted that petitioner, “has some residual, nerve issues,
responsiveness.” Id. at 34. Petitioner also reported that, “things feel lazy, he can’t read as fast or
follow tennis balls as close,” and he had dexterity issues, along with numbness in his feet. Id. In
July 2019, during another annual wellness exam, petitioner reported that he was having
neuropathy in his feet and face. Id. at 15. He also demonstrated reduced reflexes in his knees
and ankles bilaterally during the physical exam. Id. at 14. Petitioner was again diagnosed with
GBS. Id. at 15.
On July 29, 2016, petitioner established care with Advance Nurse Practitioner Brenda
Brusky. Pet. Ex. 11 at 51. It was noted in his medical history that he had the Miller Fisher
variant of GBS due to “immunization of Prevnar 13,” and he was hospitalized for months. Id.
Petitioner reported that he felt that he was “regressing,” and he was getting headaches and
dizziness. Id. Petitioner indicated he had gotten new glasses and started getting headaches
behind his left eye. Id. Petitioner was assessed with headaches, dizziness and history of GBS.
Id. at 54.
At an annual physical in 2019, noted that petitioner had GBS four years ago and was
“doing well,” although he had some residual neuropathy in feet and face. Pet. Ex. 11 at 14-15.
These were the latest records filed in the case.
III. LEGAL STANDARD
The Vaccine Act was established to compensate vaccine-related injuries and deaths. §
10(a). “Congress designed the Vaccine Program to supplement the state law civil tort system as a
simple, fair and expeditious means for compensating vaccine-related injured persons. The
Program was established to award ‘vaccine-injured persons quickly, easily, and with certainty
and generosity.’” Rooks v. Sec’y of Health & Hum. Servs., 35 Fed. Cl. 1, 7 (1996) (quoting H.R.
Rep. No. 908 at 3, reprinted in 1986 U.S.C.C.A.N. at 6287, 6344).
Petitioner’s burden of proof is by a preponderance of the evidence. § 13(a)(1). The
preponderance standard requires a petitioner to demonstrate that it is more likely than not that the
vaccine at issue caused the injury. Moberly v. Sec’y of Health & Hum. Servs., 592 F.3d 1315,
1322 n.2 (Fed. Cir. 2010). Proof of medical certainty is not required. Bunting v. Sec’y of Health
& Hum. Servs., 931 F.2d 867, 873 (Fed. Cir. 1991). In particular, petitioner must prove that the
vaccine was “not only [the] but-for cause of the injury but also a substantial factor in bringing
about the injury.” Moberly, 592 F.3d at 1321 (quoting Shyface v. Sec’y of Health & Hum. Servs.,
165 F.3d 1344, 1352-53 (Fed. Cir. 1999)); see also Pafford v. Sec’y of Health & Hum. Servs.,
451 F.3d 1352, 1355 (Fed. Cir. 2006). A petitioner who satisfies this burden is entitled to
compensation unless respondent can prove, by a preponderance of the evidence, that the
vaccinee’s injury is due to factors unrelated to the administration of the vaccine.” § 13(a)(1)(B).
To receive compensation through the Program, petitioner must prove either (1) that she
suffered a “Table Injury”—i.e., an injury listed on the Vaccine Injury Table—corresponding to a
vaccine that she received, or (2) that he suffered an injury that was actually caused by a
7
vaccination. See §§ 11(c)(1), 13(a)(1)(A); Capizzano v. Sec’y of Health & Hum. Servs., 440 F.3d
1317, 1319-20 (Fed. Cir. 2006). Because petitioner does not allege that he suffered a Table
Injury, he must prove that a vaccine he received caused her injury. To do so, he must establish,
by preponderant evidence: (1) a medical theory causally connecting the vaccine and his injury
(“Althen Prong One”); (2) a logical sequence of cause and effect showing that the vaccine was
the reason for her injury (“Althen Prong Two”); and (3) a showing of a proximate temporal
relationship between the vaccine and her injury (“Althen Prong Three”). § 13(a)(1); Althen, 418
F.3d at 1278.
The causation theory must relate to the injury alleged. The petitioner must provide a
sound and reliable medical or scientific explanation that pertains specifically to this case,
although the explanation need only be “legally probable, not medically or scientifically certain.”
Knudsen v. Sec’y of Health & Hum. Servs., 35 F.3d 543, 548-49 (Fed. Cir. 1994). Recently, in
Kottenstette, the Federal Circuit reiterated that proof of causation does not “require identification
and proof of specific biological mechanisms[.]” Kottenstette v. Sec’y of Health & Hum. Servs., -
-Fed.Appx.—(Fed. Cir. June 15, 2021) (citing Knudsen v. Sec’y of Health & Hum. Servs., 35
F.3d 543, 549 (Fed. Cir. 1994). Causation “can be found in vaccine cases….without detailed
medical and scientific exposition of the biological mechanisms.” Knudsen, 35 F.3d 543, 548-49
(Fed. Cir. 1994). It is not necessary for a petitioner to point to conclusive evidence in the
medical literature linking a vaccine to the petitioner’s injury, as long as the petitioner can show
by a preponderance of evidence that there is a causal relationship between the vaccine and the
injury, whatever the details of the mechanism may be. Moberly v. Sec’y of Health & Hum.
Servs., 592 F.3d 1315, 1325 (Fed. Cir. 2010).
Petitioner cannot establish entitlement to compensation based solely on his assertions;
rather, a vaccine claim must be supported either by medical records or by the opinion of a
medical doctor. § 13(a)(1). In determining whether petitioner is entitled to compensation, the
special master shall consider all material in the record, including “any . . . conclusion, [or]
medical judgment . . . which is contained in the record regarding . . . causation.” § 13(b)(1)(A).
The undersigned must weigh the submitted evidence and the testimony of the parties’ proffered
experts and rule in petitioner’s favor when the evidence weighs in his favor. See Moberly, 592
F.3d at 1325-26 (“Finders of fact are entitled—indeed, expected—to make determinations as to
the reliability of the evidence presented to them and, if appropriate, as to the credibility of the
persons presenting that evidence.”); Althen, 418 F.3d at 1280 (noting that “close calls” are
resolved in petitioner’s favor).
In Vaccine Act cases, expert testimony may be evaluated according to the factors for
analyzing scientific reliability set forth in Daubert v. Merrell Dow Pharm., Inc., 509 U.S. 579,
594-96 (1993); see also Cedillo, 617 F.3d at 1339 (citing Terran v. Sec’y of Health & Hum.
Servs., 195 F.3d 1302, 1316 (Fed. Cir. 1999). In Vaccine Program cases, the Daubert analysis
has been used in the weighing of the scientific evidence actually proffered and heard rather than
as a tool for the pre-trial exclusion of expert testimony. Davis v. Sec'y of Health & Hum. Servs.,
94 Fed. Cl. 53, 66–67 (Fed. Cl. 2010) (“uniquely in this Circuit, the Daubert factors have been
employed also as an acceptable evidentiary-gauging tool with respect to persuasiveness of
expert testimony already admitted”), aff'd, 420 F. App'x 923 (Fed. Cir. 2011). The flexible use of
the Daubert factors to determine the persuasiveness and/or reliability of expert testimony in
8
Vaccine Program cases has routinely been upheld. See, e.g., Snyder v. Sec'y of Health & Hum.
Servs., 88 Fed. Cl. 706, 742–45 (2009).
Where both sides offer expert testimony, a special master's decision may be “based on the
credibility of the experts and the relative persuasiveness of their competing theories.”
Broekelschen v. Sec'y of Health & Hum. Servs., 618 F.3d 1339, 1347 (Fed. Cir. 2010) (citing
Lampe v. Sec’y of Health & Hum. Servs., 219 F.3d 1357, 1362 (Fed. Cir. 2000)). However,
nothing requires the acceptance of an expert's conclusion “connected to existing data only by the
ipse dixit of the expert,” especially if “there is simply too great an analytical gap between the
data and the opinion proffered.” Snyder, 88 Fed. Cl. at 743 (quoting Gen. Elec. Co. v. Joiner,
522 U.S. 146 (1997)). Weighing the relative persuasiveness of competing expert testimony,
based on a particular expert's credibility, is part of the overall reliability analysis to which special
masters must subject expert testimony in Vaccine Program cases. Moberly, 592 F.3d at 1325–26
(“[a]ssessments as to the reliability of expert testimony often turn on credibility
determinations”); see also Porter v. Sec'y of Health & Hum. Servs., 663 F.3d 1242, 1250 (Fed.
Cir. 2011) (“this court has unambiguously explained that special masters are expected to
consider the credibility of expert witnesses in evaluating petitions for compensation under the
Vaccine Act”).
Close calls regarding causation must be resolved in favor of the petitioner. Althen, 418
F.3d at 1280 (holding that Congress created a system in which “close calls regarding causation
are resolved in favor of injured claimants”); Knudsen, 35 F.3d at 551 (“If the evidence (on
alternative cause) is seen in equipoise, then the government has failed in its burden of persuasion
and compensation must be awarded.”).
IV. Analysis
A. Althen prong one
Under Althen prong one, the causation theory must relate to the injury alleged. The
theory must be based on a “sound and reliable medical or scientific explanation.” Knudsen, 35
F.3d at 548. It must only be “legally probable, not medically or scientifically certain.” Id. at 549.
However, the theory still must be based on a “sound and reliable medical or scientific
explanation.” Id. at 548. The Federal Circuit explained in Althen that “while [that petitioner’s
claim] involves the possible link between [tetanus toxoid] vaccination and central nervous
system injury, a sequence hitherto unproven in medicine, the purpose of the Vaccine Act’s
preponderance standard is to allow the finding of causation in a field bereft of complete and
direct proof of how vaccines affect the human body.” Althen, 418 F.3d at 1280 (emphasis added).
1. Dr. Steinman’s opinion on medical theory of causation
Dr. Steinman explained that Guillain-Barré syndrome is “an inflammatory attack by the
immune system on the peripheral nerves.” Tr. 15. According to the Gilburd et al. article cited
by Dr. Steinman, GBS is “associated with an inflammatory demyelination of peripheral nerves.”
9
Pet. Ex. 10, Tab 14 at 1.6 The article explained that the demyelination in GBS is thought to be
initiated by an autoimmune reaction. Id. Dr. Steinman stated that, “In the case of the Miller
Fisher variant of GBS, it involves the peripheral nerves in the brain stem, the facial nerves, as
well as the nerves that come off the spinal cord that innervate the arms and legs.” Id. Dr.
Steinman explained that GBS can be caused by viral or bacterial infections. Tr. 16. Further, he
testified that the “strongly held belief” based on a wide array of medical literature, is that GBS is
caused by the immune system attacking the peripheral nerves. Tr. 17. He noted that the
campylobacter jejuni (“c.jejuni”) bacterial infections are known to precede GBS and explained,
“[c.jejuni] has a certain sugar that is the same as the sugar in your peripheral nerve. And it’s one
of the classic examples that the Institute of Medicine and various papers use to exemplify this
concept of molecular mimicry, something in that bacteria that’s shared with something in the
nerve.” Tr. 18. There was no dispute that the petitioner was correctly diagnosed with the Miller
Fisher variant of GBS or that GBS is generally considered a neuroinflammatory, autoimmune
disease.
Dr. Steinman opined that petitioner’s Miller Fisher variant of GBS was caused by the
Prevnar 13 vaccine. Pet. Ex. 8; Pet. Ex. 10; Pet. Ex. 16. He proposed a theory of molecular
mimicry between components of the Prevnar 13 vaccine and the myelin sheath of the peripheral
nervous system which resulted in GBS. Pet. Ex. 8 at 7; Pet. Ex. 16 at 1; Pet. Post-Hearing Brief
at 9. He stated that the Prevnar 13 vaccine includes a critical component known as a
“phosphoglycerol,” which is also a key component of phospholipids which make up 70% of the
myelin. Pet. Ex. 16 at 1. The immune reaction to the phosphoglycerol in the vaccine can induce
an attack on the phosphoglycerol attached to the phospholipids in the myelin. Id. He testified,
“In this case, it’s molecular mimicry to the phosphoglycerol that is connected to the
polysaccharide structure of the vaccine that gives rise to GBS.” Tr. 51. Dr. Steinman explained:
The capsule in a polysaccharide vaccine is composed of sugars…and the package insert
talks about the sterile suspension of saccharides of the capsular antigens that are linked
individually to the diphtheria protein. But there is another component of those
saccharides, of those sugars, that’s actually central to my thesis. The immune system
makes an immune response to the sugars, (in the vaccine) but only if, and that is really
important, if the sugars are attached to something called phosphoglycerol. So, if you take
away that linkage to the phosphoglycerol, …the vaccine is no longer immunogenic.
Tr. 19-20. Dr. Steinman explained that the Prevnar 13 vaccine contains S. pneumoniae
serotypes 1, 3, 4, 5, 6A, 7F, 9V, 18C, 19A, 19F, and 23F as demonstrated by the package insert.
Pet. Ex. 10 at 2. These individual polysaccharides are purified…. “and are chemically activated
to make saccharides, which are directly conjugated by reductive amination to the protein carrier
CRM197, to form the glycoconjugate. CRM197 is a nontoxic variant of diphtheria toxin…”
Pet. Ex. 8; Tr. 18-20. He asserted that the polysaccharides contain a phosphoglycerol group. Tr.
32. In his supplemental report and post-hearing report, he pointed to the Chang et al. article to
demonstrate that the chemical structure of S. pneumoniae serotype18C includes a
phosphoglycerol side chain. Pet. Ex. 10 at 2; Pet. Ex. 16 at 9-10. During the hearing, he circled
6
Gilburd, B. et al., Autoantibodies to Phospholipids and Brain Extract in Patients with the Guillain-Barre
Syndrome: Cross-Reactive or Pathogenic? 16 Autoimmunity 23-27 (1993). [Pet. Ex. 10, Tab 14].
10
heads which mainly consists of the phosphate group attach to the third carbon of the glycerol
molecule is hydrophilic.” Id.
Later in the hearing, Dr. Leist provided a detailed description of chemical structure of a
phospholipid and the relationship between phospholipids and phosphoglycerol. As Dr. Leist
explained, a phospholipid has two lipid tails and has a bridge which is the glycerol which is
hydrophilic. The glycerol is often referred to as the polar head which sticks out from a lipid
bilayer which is hydrophobic. He emphasized that the phosphoglycerol side chain is a
component of a phospholipid but it is not by itself a phospholipid. The phospholipids are
components of the membrane in myelin where two phospholipids or two layers of phospholipids
butt each other with the hydrophilic surfaces on top of it to form a boundary between the inside
and outside of the cells. Tr. 103 In Dr. Leist’s post-hearing report, he stated, “A
phosphoglycerol is composed of a glycerol and a phosphate unit, and is a building block or
component of a phospholipid….” Id. at 2 (emphasis added).
Dr. Steinman agreed with Dr. Leist’s explanation, stating that it was, “absolutely
accurate,” that a phosphoglycerol was a component of a phospholipid. Pet. Ex. 16 at 5; Tr. 166-
67. He also acknowledged that the vaccine does not contain a phospholipid but asserted that the
critical component in the cross reaction was the phosphoglycerol component of both the vaccine
and the phospholipids in myelin.
Dr. Steinman observed that the Chang article studied the 18C serotype in the vaccine.
The article explained that the 18C serotype “is composed of a repeating unit having a
tetrasaccharide backbone with D-galactose highly branched by D-glucose and glycerol
phosphate. Resp. Ex. D at 1. The authors noted that the repeating units have “two apparently
labile components: glycerol-phosphate and an O-acetyl group (AcO).” Id. at 1. Additionally, the
authors found that “glycerol-phosphate must be preserved for conserving adequate antigenicity
of the 18C capsular polysaccharide.” Id. at 1, 6 (emphasis added). Dr. Steinman testified that
Chang shows that the glycerophosphate side chains need to be preserved to confer immunity.
Tr. 37.
In further support of his theory, Dr. Steinman referenced the patent application for the
Prevnar vaccine, which provided detailed information about the chemical composition of the
vaccine. Pet. Ex. 12.9 Dr. Steinman observed that the patent states, “An important
consideration during conjugation is the development of conditions that permit the retention of
potentially sensitive non-saccharide substituent function groups of the individual components,
such as 0-Acetyl, phosphate or glycerol phosphate side chains that may form part of the
saccharide epitope.” Id. at 34; Tr. 37. Dr. Steinman interpreted the language in the vaccine
patent to mean that that when the vaccine is made, “it’s not only the sugar….but you must
preserve these non-saccharide, non-sugar functional groups, such as…the glycerophosphate side
chains that may form part of the saccharide epitope….And from Chang, if that is not preserved
in the vaccine, there is no immunogenicity.” Tr. 37.
9
United States Patent, Patent No.: US 9,492,559 B2, Immunogenic Compositions Comprising Conjugated Capsular
Saccharide Antigens and Uses Thereof (Nov. 15, 2016). [Pet. Ex. 12].
12
In his post-hearing report, Dr. Steinman noted that serotype 11A also contains a
phosphoglycerol side chain. Pet. Ex. 16 at 15. The patent application provides, “The
polysaccharide repeating unit of serotype 11A consists of a linear tetrasaccharide backbone (two
galactopyranoses (Gal) and two glucopyranoses (Glc) and a pendent phosphoglycerol…..The
polysaccharide is O-acetylated at multiple locations….” Pet. Ex. 12 at 24. Dr. Steinman
explained that this language of the patent application means that the phosphoglycerol hangs from
the pneumococcal polysaccharides in Prevnar 13. Pet. Ex. 16 at 14. He also observed that the
patent application describes the existence of a phosphoglycerol side chain in Pneumococcal
polysaccharide serotype 15B as well. Pet Ex. 16 at 10-11; Pet. Ex. 12 at 24. Dr. Steinman
opined that to “a high degree of likelihood, it is true,” that the other antigenic units that make up
the Prevnar 13 vaccine also include the glycerophosphate side chain. Tr. 37.
Dr. Steinman concluded that Chang and the patent application, taken together,
demonstrate that the Prevnar 13 vaccine includes the phosphoglycerol side chains on different
serotypes which need to be retained during the purification process to preserve immunogenicity
of the vaccine. Tr. 37, 168-69. He said that if the phosphoglycerol side chain is not preserved in
the manufacturing process, the vaccine would be “a dud.” Tr. 168.
Dr. Steinman then explained that phospholipids are a component of the myelin sheath in
humans, which are targets for antibodies in neuroinflammation. Pet. Ex. 8 at 6; Tr. 21. He
testified that in GBS, the immune system attacks the myelin in peripheral nerves. Tr. 21. He
cited to a study by Ho et al. to demonstrate that autoantibodies against phospholipids contribute
to demyelination in multiple sclerosis (“MS”) and that the autoantibodies target a phosphate
group attached to the lipids. Pet. Ex. 10, Tab 8 at 1.10 Dr. Steinman testified that Ho indicates
that in MS, the immune system is not attacking the phospholipids in the myelin, but instead is
attacking the phosphate headgroup, which is a component of the phospholipids in the myelin.
Tr. 34. Based on Ho, he opined that the immune system attacks the phosphate headgroup on the
phospholipids in the myelin in GBS, which is a close cousin of MS. Tr. 35.
In Ho the authors sought to determine whether lipids in the myelin sheath are targeted by
autoimmune responses in MS and identified myelin lipids targeted by autoantibodies. Pet. Ex.
10, Tab 8 at 9. The authors investigated autoantibody targeting of lipids to determine the lipids’
antigenicity with samples of CSF from 33 patients with MS. Id. at 1-3. Specifically, the authors
explained, “We investigated autoantibody targeting of seven lipids that have a glycero-3-
phosphocholine back bone in common with PGPC (an oxidized lipid), as well as targeting of
other structurally similar lipids from the lipid array….such as those containing features in
common with PGPC, including a phosphate head group with one or two nonpolar side chains.”
Id. at 3. The authors explained that they also sought to understand the “structural basis of the
lipids’ antigenicity,” and they examined autoantibody reactivity to an additional 14 lipids that
contain various head group and side-chain modifications of PGPC.” Id. They found that “six of
the seven targeted lipids had a phosphate group,” and that “The other six lipids that were not
targeted either lacked a phosphate group or contained a phosphate group connected to a bulky
group, for example, a ring structure or a phosphate group linked to four carbons.” Id. In his
10
Ho, Peggy, P. et al., Identification of Naturally Occurring Fatty Acids of the Myelin Sheath that Resolve
Neuroinflammation, 4 Sci. Transl. Med. 137ra73 (2012). [Pet. Ex. 10, Tab 8]. Dr. Steinman was one of the senior
authors on this multifacility study. Tr.181
13
post-hearing report, Dr. Steinman recreated Figure 2D from the Ho article, which shows the
lipids that were targeted by autoantibodies with green boxes around the polar head groups that
were targeted on the left-hand side and red boxes around the polar head groups on lipids that
were not targeted on the right. The arrows are pointing to the phosphate polar head groups.
Pet. Ex. 16 at 8; Pet. Ex. 10, Tab 8 at 4. The authors explained further, “Thus, binding of
relapsing and remitting MS CSF autoantibodies to these lipids is dependent on the presence of (i)
a nonbulky polar head group such as a phosphate group and (ii) at least one long hydrocarbon
side chain.” Pet. Ex. 10, Tab 8 at 3. Ho concluded:
…the polar head groups are the lipid components targeted by the auto-antibodies, the
fatty acid side chains are the components that mediate the lipids’ anti-inflammatory
effects. Furthermore, we find that the levels of these autoantibody-targeted lipids are
lower in lesions from MS brain than in tissue from healthy brain. Autoantibody targeting
may thus reduce the lipids’ anti-inflammatory effect by enhancing their clearance or
inhibiting their activity-and thereby compromise the lipid-mediated protection against
neuroinflammation….
Pet. Ex. 10, Tab 8 at 9. Dr. Steinman testified that the study found that the fatty acid side chains
can be protective, but when the immune system attacks the myelin in MS patients, it does not
attack the fatty acids, but rather the phosphate group on glycerol. Tr. 34. Importantly, the
authors observed that, “The destruction of myelin involves anti-lipid autoantibodies, which can
induce demyelination and prevent remyelination in the mouse models of MS.” Id.; Pet. Ex. 16 at
5; Tr. 182.
14
Dr. Steinman explained the relevance of the Ho article in the context of his theory, “this
component of a phospholipid, phosphoglycerol, it’s real in myelin that’s attacked, but it’s also
real in Prevnar 13. And as the patent calls it….it’s the nonsaccharide component. And that non-
saccharide component is phosphoglycerol. Without it 18C is not immunogenic.” Tr. 171.
Dr. Steinman also referenced an older article by Gilburd which sought to investigate
autoantibodies in GBS by testing the reactivity of GBS sera with various phospholipids which
are known constituents of myelin and serve as autoantigens in other autoimmune conditions. Pet.
Ex. 10, Tab 14 at 1. They found that six out of sixteen GBS sera studied had antibodies to one or
more of the phospholipid antigens. Id. The authors speculated, “…the reactivity of 6 out of the
16 GBS sera with the different antigens tested may be produced by a cross reaction of
autoantibodies to [a] yet unidentified myelin constituent.” Id. at 5-6. The authors noted that they
did not find a significant association between the presence of specific antiphospholipid
antibodies or anti-DNA antibodies in GBS when compared to controls. The authors theorized
that the autoantibody production was more likely resulting from the myelin damage and the
liberation of various myelin antigens into circulation. Id. at 6. Dr. Steinman testified that
Gilburd shows that patients with GBS have autoantibodies to the phosphoglycerol. Tr. 37.11 In
his post-hearing report, Dr. Steinman explained that the authors of Gilburd did not provide an
explanation as to why they thought that the autoantibodies did not cause an attack on the myelin,
and that he only used the information in Gilburd in his theory to “emphasize that antibodies to
these structures have been measured in humans with GBS.” Pet. Ex. 16 at 12. He stated that the
actual data in Gilburd shows evidence that phospholipids in myelin are targeted by antibodies in
GBS. Id. at 13.
Dr. Steinman explained that Ho, published seventeen years after Gilburd, builds upon the
data from Gilburd. He wrote, “The advantage of hindsight and further research by the team of
21 scientists in Ho, allowed us12 to re-interpret the data in Gilburd, and to provide a rationale for
simply not accepting the Gilburd authors speculation that such antibodies were the result, not the
cause of GBS.” Pet. Ex. 16 at 13. He stated that, “In Ho we showed that antibodies to six
different myelin phospholipids, all target the phosphoglycerol head group, a constituent common
to different myelin phospholipids with different fatty acid side chains. Antibodies to the
phosphoglycerol head group can also explain the data in the Gilburd paper, as the analysis
showed in the paper by Ho.” Id. In his post-hearing report, Dr. Steinman summarized his theory
as the following:
The crux of my testimony in the courtroom was that petitioner’s theory exemplifies how
molecular mimicry to a component of the Prevnar[13] vaccine, known as
phosphoglycerol, is implicated, in how an immune response to the vaccine could
culminate in GBS. The immune response to phosphoglycerol in the vaccine targets the
phospholipids in the myelin sheath of the nervous system. The theory describes how an
immune attack on a critical component of the Prevnar 13 vaccine known as
11
The Gilburd article referenced phosphatidylcholine, phosphatidyl-enthanalomine and phosphatidyl-serine. Dr.
Steinman explained that a phosphoglycerol also contains a choline, which it can be either a phosphogylcerol or
phosphocholine, but “the core is phosphoglycerol.” Tr. 167.
12
Dr. Steinman was one of the senior authors in the Ho study.
15
phosphoglycerol, which is itself a key substituent of a phospholipid, can induce an attack
on the phospholipids in myelin.
Pet. Ex. 16 at 1.
Dr. Steinman stated that his theory of cross reactivity by molecular mimicry was based
upon the review of the Prevnar-13 patent, which “unmistakably points to the importance of the
phosphoglycerol in the composition,” and three peer reviewed articles which explain how an
immune response to phosphoglycerol can target phospholipids in the myelin membrane and lead
to demyelination. Pet. Ex. 16 at 17.
2. Dr. Leist’s opinion on medical theory of causation
Dr. Leist agreed that petitioner had the Miller-Fisher variant of GBS. Resp. Ex A.
However, he opined that “there is no relationship between” the Prevnar 13 vaccine and
petitioner’s diagnosis. Resp. Ex. A at 6. He stated that, “Dr. Steinman asserts that vaccinations
induce anti-myelin antibodies but provides no evidence that (a) Prevnar causes such antibodies
and (b) that they are of pathophysiologic significance. Id. at 6. In his post-hearing report, Dr.
Leist contended, “….phospholipids are not a listed constituent of the Prevnar-13 vaccine; that the
Prevnar-13 vaccine is not a recognized cause of Guillain-Barre syndrome; and that [Dr.
Steinman’s] theory is speculative, without any reliable medical support.” Resp. Ex. E at 3. Dr.
Leist’s opinion was that “no reliable theory has been presented to causally link Prevnar with
Guillain-Barre syndrome at this point.” Tr. 151.
Dr. Leist wrote that, “As an initial matter, (1) the purification processes of bacterial-
strain-specific polysaccharides and carrier protein; and (2) the description of the chemical
reaction by which the purified polysaccharides are covalently bound to the carrier protein, make
it clear that phospholipids are not expected to be a component of the Prevnar-13 vaccine.” Resp.
Ex. E at 3. Dr. Leist testified that during the hearing, petitioner’s theory shifted away from
phospholipids to the sugar moieties that are in all the saccharides that are part of the vaccine. Tr.
71. He testified that Dr. Steinman’s new theory was solely focused on the phosphoglycerol
residue…here on one of the sugars….as the potential inciting agent.” Tr. 79. Dr. Leist criticized
Dr. Steinman’s theory, stating:
Since phosphoglycerols are sidechains in certain polysaccharides, Dr. Steinman holds
that his theory of a putative autoreactive immune response against phospholipids would
therefore also extend to such polysaccharides. Lost in this illogical chain of arguments is
the fact that phospholipids are not a listed constituent of Prevnar-13 vaccine; that
Prevnar-13 vaccine is not a recognized cause of Guillain-Barre syndrome; and that his
theory is speculative, without any reliable medical support. At base, Dr. Steinman
appears to take disparate aspects of our current medical understanding of the Prevnar-13
vaccine, and demyelinating conditions more broadly, to make inferential, conclusory
leaps to opine that the Prevnar-13 vaccine can cause Guillain-Barre syndrome.
Resp. Ex. E at 3.
16
Dr. Leist was able to clearly explain the chemical structure of a phospholipid, describing
in detail during the hearing and in his post-hearing report the relationship between a
phosphoglycerol and a phospholipid. Tr. 102-106; Resp. Ex. E at 2-3. In his supplemental
report, Dr. Leist explained that phospholipids and glycolipids are major components of all cell
membranes. Resp. Ex. D at 3. He stated that, “The phospholipid molecule generally consists of
two hydrophobic fatty acid ‘tails’ and a hydrophilic ‘head’ consisting of a phosphate group.” Id.
at 3. In his post-hearing report, Dr. Leist wrote, “Phosphoglycerol is a molecular component, or
a building block of phospholipids, and is not a class of phospholipids. Phosphoglycerol does not
contain lipids/fatty acids.” Resp. Ex. E at 1. Dr. Leist explained that, “Phospholipid molecules
are constructed from four components: fatty acids; a platform such as glycerol to which the fatty
acids are attached; a phosphate; and an alcohol attached to the phosphate.” Id.; Tr. 106. He
further explained, “A phosphoglycerol is composed of a glycerol and a phosphate unit and is a
building block (or component) of a phospholipid, but it does not contain lipids/fatty acids. Id. at
1-2. He testified that “the phosphoglycerol is not synonymous with a phospholipid or for that
matter phosphoglycerides.” Tr. 75.
It is not entirely clear why Dr. Leist continued to argue that phospholipids were not a
component of the vaccine in his post hearing report, as Dr. Steinman’s theory focused on
mimicry between the phosphoglycerol component in the vaccine and that same molecule
attached to the phospholipids in myelin. He did not contend that there are phospholipids in the
vaccine.
Dr. Leist, referring to the Chang article and the diagram of the chemical composition of
part of the Prevnar vaccine, explained that it depicts a “particular series of sugars,” repeated
several times and that Dr. Steinman circled, “the phosphoglycerol residue that is attached to a
sugar, as a modification of this particular sugar, of the saccharide.” Tr. 78. He noted that at the
bottom of the graph is the O-acetyl, which he explained was, “…another modification residue or
additional residue of the sugar moiety that also has been recognized by the authors of Chang as
important in order for the vaccine to have biological effect against the specific strain of the
bacteria.” Tr. 78.
Dr. Leist testified that Chang looked at the relevance of the O-acetyl and the
phosphoglycerol group regarding the antigenicity of the capsular polysaccharide, the 18C
capsular polysaccharide. Tr. 82. He testified, “…there is literature indicating that if one [sugar
moiety] loses this phosphoglycerol group, the resulting vaccine or the resulting immune response
is no longer protecting against that particular strain of bacteria.” Tr. 80. Dr. Leist attempted to
distinguish between his opinion and Dr. Steinman’s opinion regarding the importance of the
phosphoglycerol attachment by stating, “…it is not that we don’t know whether there’s an
immune response against the sugar. We just know that the immune response against the sugars
that lost the phosphoglycerol is no longer protecting against this particular bacterial strain.” Tr.
80. Confusingly, Dr. Leist appears to concede that the loss of the phosphoglycerol side chain
would cause a loss of protective immunity while speculating that there may still be an ineffective
immune response or perhaps that only immunogenicity to 18C would be lost. In his post-hearing
report, Dr. Leist clarified his testimony, stating,
17
“…Dr. Steinman specifically names the fact that the surface polysaccharide of the 18C
pneumococcus pneumoniae isolate contains phosphoglycerol side chains that need to be
preserved in order to induce a protective antibacterial immune response. As I testified,
the phosphoglycerol side chains are required to induce protective immunity against
streptococcus pneumoniae-18C.
Resp. Ex. E at 4. Dr. Leist interpreted Chang to mean, “Through the process of purification, this
18C-derived saccharide may now change. And they looked at what changes would be
introduced during the purification process that would interfere with the saccharide that is now
integrated into the vaccine to actually serve to generate protective immunity. And they identified
in their work that this phosphoglycerol group and also the acetyl group are important to convey
protective immunity. And if I correctly interpret their work, it is that they obviously purport that
this is something that would need to be checked for during the manufacturing process that these
groups are not lost…..especially the phosphoglycerin.” Tr. 81. Dr. Leist stated, “Based on the
observation of Chang for the vaccine to be protective against pneumococcus pneumoniae strain
18C, the phosphoglycerol polysaccharide side chain needs to be present.” Resp. Ex. E at 5; Tr.
88.
Despite this concession, he testified that Chang did not address whether there is still an
immune response if the phosphoglycerol component was lost, but instead “they just showed that
it was not a protective immune response.” Tr. 82. He testified that if “you take away this group
(phosphoglycerol component) doesn’t mean that now this becomes injurious or even antibodies
would be induced, that those antibodies would be injurious throughout the process.” Tr. 88. In
his post-hearing report, he argued that, “Chang does not, provide a link between the purified
surface polysaccharide, an apparent immune response against phospholipids (which are not
present in the Prevnar-13 vaccine), and Guillain-Barré syndrome.” Resp. Ex. E at 4.
He stated, “What is known is that the Prevnar-13 vaccine, which contains saccharides
with phosphoglycerol side chains, and wild-type pneumococcus pneumonia strains, some of
which contain saccharides with phosphoglycerol side chains, are not recognized as causes of
Guillain-Barré syndrome.” Id. at 5. He testified that, “…at this point in time, I don’t think we
allege that Mr. Koller suffered a pneumococcal infection with 18C.” Tr. 88.
Dr. Leist also argued that the Gilburd article does not support petitioner’s theory that
antibodies against phospholipids caused demyelination in patients with GBS. Resp. Ex. E at 5.
Dr. Leist asserted that because there are no listed phospholipids in the Prevnar-13 vaccine,
antibodies generated by an immune response to the vaccine, could not then be targeting the
phospholipids identified in Gilburd and moreover, Gilburd concludes that the autoantibodies to
phospholipids in GBS patients was a result of myelin damage, not a product of inflammatory
demyelination. Resp. Ex. E at 5.
Similarly, Dr. Leist argued that Ho does not support Dr. Steinman’s theory because the
authors, including Dr. Steinman, did not show that antibody reactivity against a phosphate group
attached to a phospholipid caused disease. Resp. Ex. E at 5. Dr. Leist repeated that
phospholipids are not in the Prevnar-13 vaccine. Id.
18
Dr. Leist stated, “Dr. Steinman provides no information on whether pneumococcus
pneumonia is a recognized cause of Guillain-Barre syndrome….The FDA has not required
inclusion of Guillain-Barré as a risk associated with the Prevnar-13 vaccine in the prescribing
information; and Dr. Steinman does not discuss whether in his opinion the FDA erred in not
requiring this.” Resp. Ex. E at 6. Dr. Leist argued that the Prevnar-13 vaccine “has not been
associated with Guillain-Barre syndrome, and that the few case reports in the literature do not
provide information beyond temporality.” Id. at 7.
During the hearing, Dr. Leist discussed an article by Haber et al., which reviewed
adverse events reports following Prevnar-13 vaccination in adults 19 years and older in the
Vaccine Adverse Event Reporting System (“VAERS”) from June 2012 to December 2015. Tr.
125-29; Resp. Ex. C, Tab 1.13 Dr. Leist testified that the article demonstrates that 60 million
doses of the vaccine were administered and that eleven cases of GBS were reported to VAERS.
Tr. 128-29. Dr. Leist testified that, “…there was not a causation of these cases.” Tr. 129. The
article states that they found eleven cases of possible GBS after PCV13 in which the median
onset interval of symptoms was 9 days, the median age of patients was 68 years old, and ten
cases were male. Resp. Ex. C, Tab 1 at 4. Additionally, the authors found that out of the eleven
reported GBS cases, only one patient received an additional vaccine. Id. The authors stated,
“Our study verified 11 GBS reports with symptom onset within 42 days of PCV13 vaccination
with a reporting rate of 0.7 cases per million doses of vaccine distributed among adults aged 19
years and older.” Id. at 5. They concluded that there was no disproportionate reporting of GBS
following the PCV13 vaccine. Id. Dr. Leist testified that the Haber article demonstrated that
there were eleven cases of GBS reported to VAERS post-Prevnar 13 vaccination, but that, “there
was not proof of causation of these cases.” Tr. 129.
Dr. Leist acknowledged that there are reporting biases in the VAERS data.14 Tr. 125. He
explained that VAERS is a passive reporting system and stated that, “….nobody can claim that
there is a hundred percent reporting or what the exact number is.” Id. Dr. Leist also recognized
that in the present case, petitioner’s physicians submitted a VAERS report. Tr. 127. Further, the
authors of the Haber article also noted that reviewing VAERS data has limitations including,
“underreporting, varying quality of reports…and the lack of an unvaccinated comparison group.”
Resp. Ex. C, Tab 1 at 5. The authors explained, “Because of these limitations, it is extremely
difficult to determine causal associations between vaccines and adverse events.” Id.
13
Haber, P, et al., Post-licensure surveillance of 13-valent pneumococcal conjugate vaccine (PCV13) in adults aged
≥ 19 years old in the United States, Vaccine Adverse Event Reporting System (“VAERS”), June 1, 2012-December
31, 2015, 34 Vaccine 6630-6334 (2016). [Resp. Ex. C, Tab 1].
14
I observed that the VAERS reporting system is a passive reporting system in which significant underreporting and
mixed quality of reports provides little insight to causation. Tr. 124. This is consistent with other cases in the
Vaccine Program, which have explained that VAERS has limited value due to the manner in which it is collected,
the lack of confirmation of the reported information, and the lack of any systemic analysis. See Capizzano v. Sec’y
of Health & Human Servs., 63 Fed. Cl. at 231; see also Tompkins v. Sec’y of Health & Human Servs., No 10-261V,
2013 WL 3498652, at *9 n.25 (Fed. Cl. Spec. Mstr. June 21, 2013), mot. for review denied, 117 Fed. Cl. 713 (2014)
(The data provided by VAERS does not illustrate a causal connection; rather VAERS exists to identify signals to
prompt further scientific investigation into potentially rare serious adverse events).
19
Dr. Leist agreed with Dr. Steinman’s general description of molecular mimicry and he
agreed with the general principle of molecular mimicry. Tr 95, 101. He noted that Dr. Steinman
discussed GBS developing after certain strains of c. jejuni and appeared to accept Dr. Steinman’s
description. Tr. 95. He stated, “Much of the molecular mimicry that is normally discussed in
situations such as this one is protein based, where the protein has a certain structural homology.
Here we are purporting that the sugar moieties, in the bacteria on the pathogens may have such a
sequential homogeneity, but there is no information that this actually occurs…within the
constraints of this case.” Tr. 96. In his post-hearing report, he criticized Dr. Steinman’s theory,
stating, “…that a phosphoglycerol present in whatever form in the vaccine could induce an
immune response that cross-reacts with a phosphoglycerol unit contained in phospholipids, and
thereby induce or cause Guillain-Barre syndrome,” cannot “withstand even the most superficial
examination, and it is without scientific foundation.” Resp. Ex. E at 7.
Dr. Leist concluded his post-hearing report by stating, “Critically, Dr. Steinman does not
propose that a single amino acid, or its side chain, would be sufficient for molecular mimicry. A
claim that the presence of a particular (naturally occurring) amino acid in a protein by itself is
sufficient to invoke molecular mimicry is scientifically unsustainable. But that is exactly what
Dr. Steinman proposes in this case concerning phosphoglycerol, and its presence as a component
in phospholipids and in select polysaccharides.” Resp. Ex. E at 8.
3. Discussion and Conclusion of Althen prong one
Petitioner’s theory, offered by Dr. Steinman, is that molecular mimicry is the likely
causal mechanism of petitioner’s GBS. He opined that an immune system cross-reactive
response to a critical component of the Prevnar-13 vaccine, phosphoglycerol, which is itself a
key substituent of phospholipids in myelin, can induce an attack on the phospholipids in myelin.
Pet. Ex. 16 at 1. Respondent argued that Dr. Steinman’s theory is unpersuasive because he
shifted the focus of his theory from his original written reports during the entitlement hearing
and his “inability to cogently articulate and expound upon his purported theory of the case.”
Resp. Post-Hearing Brief at 4. I agree that the earlier use of the term “phospholipid” caused
initial confusion, but through questioning in the hearing, the experts came to a definitional
agreement about the distinction between phospholipids and phosphoglycerol. After the
definitional agreement and clarification from Dr. Steinman on petitioner’s proposed theory of
causation, I find that petitioner has provided preponderant evidence that the Prevnar-13 vaccine
can cause Guillain-Barré syndrome based on molecular mimicry between the phosphoglycerol in
the vaccine and the same in myelin as proposed by Dr. Steinman.
Dr. Steinman was able to identify that the Prevnar-13 vaccine not only includes a
phosphoglycerol component, but that the phosphoglycerol is essential for the vaccine to be
effective by referencing the patent for Prevnar-13 and the article by Chang. Chang explained
that the18C serotype is a complex structure composed of “a repeating unit having a
tetrasaccharide backbone with d-galactose highly branched by D-glucose and glycerol
phosphate.” Pet. Ex. 10 at 3; Pet. Ex. 16 at 15; Tr. 167. Chang also explained that the glycerol-
phosphate side chain must be preserved in the manufacturing process to conserve an adequate
immune response to 18C. Pet. Ex. 27; Resp. Ex. D at 1. Additionally, Dr. Steinman observed
that the Prevnar-13 patent application explains the importance of retaining the phosphate or
20
glycerol phosphate side chains during conjugation and is included in more than just the serotype
18C, but also is documented in other serotypes present in the vaccine. Pet. Ex. 16 at 10; Pet. Ex.
12 at 34. The patent application provides, “An important consideration during conjugation is the
development of conditions that permit the retention of potentially sensitive non-saccharide
substituent functional groups of the individual components, such as 0-Acetyl, phosphate or
glycerol phosphate.” Pet. Ex. 12 at 34. Dr. Steinman later observed that it is not just serotype
18C that has glycerol phosphate side chains, but that serotypes 15B and 11A are also
documented in the patent description to preserve it as well. Pet. Ex. 16 at 10-11. Dr. Steinman
opined that it is highly likely that the other strains in the vaccine also preserve the phosphate
group. Tr. 37.
Further, both experts agreed that retaining the glycerol phosphate side chains is necessary
to confer immunogenicity to at least serotype 18C. Tr. 37; Tr. 88; Resp. Ex. E at 4-5.
Specifically, Dr. Leist conceded that the phosphoglycerol side chains identified in the Chang
article are required to induce protective immunity against S.pneumoniae 18C. Resp. Ex. E at 4;
Tr. 176. However, Dr. Leist argued that it was “unknown whether antibodies against
polysaccharides of pneumococcus pneumoniae strain 18C would bind to phospholipids in
myelin, and if so, whether this interaction would lead to demyelination of peripheral nerves.”
Resp. Ex. E at 5. Dr. Leist is correct that the Chang article does not discuss the cross reactivity
of the vaccine to myelin, but Dr. Steinman referenced the article as a first step in this theory to
demonstrate that the phosphoglycerol is a necessary component of the vaccine for the
development of immunogenicity. As a vaccine is obviously designed to generate a protective
immune response, and the vaccine does contain the phosphoglycerol side chain, there appears to
be no meaningful difference between Dr. Steinman’s and Dr. Leist’s interpretation of the Chang
article.
To demonstrate that antibodies generated by the immune system’s reaction to the
phosphoglycerol in the Prevnar-13 vaccine can cause an immune reaction which leads to
demyelination as seen in GBS, Dr. Steinman referenced the Ho article, in which the authors
found that MS patients have antibodies that bind to a phosphoglycerol headgroup which is
attached to lipids that make up the myelin. Pet. Ex. 10, Tab 8. The authors of Ho found that
autoantibodies in multiple sclerosis target the phosphoglycerol polar head groups in the
phospholipids in myelin, which may reduce the lipids’ anti-inflammatory effect and compromise
the lipid-mediated protection against neuroinflammation. Pet. Ex. 10, Tab 8 at 9; Resp. Ex. D at
9. It is significant that this finding in the Ho study was in actual MS patients who suffered
demyelination associated with that disease.
Dr. Leist criticized the reliance on Ho, stating, “The authors showed antibody reactivity
against the phosphate group in the context of the lipid structure. They did not show, however,
that the phosphate group would be recognized on its own, or outside the lipid structure. The Ho
authors also did not show that these antibodies caused disease.” Resp. Ex. E at 3-4. The extent to
which Dr. Leist would require specific proof is not required in this program to demonstrate a
theory of causation in the Vaccine Program. However, contrary to his criticism, the authors in
Ho actually demonstrated that lipids that lacked a phosphate group or contained a phosphate
group connected to a bulky group (like a ring structure or a phosphate group linked to four
carbons) were not targeted by autoantibodies in relapsing and remitting MS. Pet. Ex. 10, Tab 8
21
at 3. Further, the authors noted that the autoimmune response was directed to the
phosphoglycerol side chains and may have contributed to demyelination by attenuating the
protective effect of the attached fatty acid chains in the myelin. Pet. Ex. 10, Tab 8 at 9.
As noted above, Dr. Steinman also referenced Gilburd, which found antiphospholipid
antibodies in six patients with GBS. Pet. Ex. Tab 14. Dr. Steinman stated that he referenced
Gilburd because it showed the presence of antibodies to phosphotidylcholine and
phosphotidylalanine, the core of which is the phosphoglycerol. Tr. 38, 167-68; Pet. Ex. 16 at 13.
He acknowledged the authors in Gilburd came to a different conclusion, but also noted that the
discoveries published in Ho seventeen years later, gave him the ability to analyze the Gilburd
data differently. Pet. Ex. 16 at 3. He stated, “Antibodies to the phosphoglycerol headgroup can
also explain the data in the Gilburd paper, based on the analysis showed by Ho. The
commonality of all the different phospholipids is the glycerophosphate head, and antibody
studies indicate that this is where the antibodies bind.” Id. He opined that, “the antibody is
actually directed to that component, the phosphate headgroup whether it’s MS or GBS.” Tr. 167.
Petitioner also submitted two articles which referenced case reports of patients
developing GBS following streptococcus pneumonia infection and vaccination with the
pneumococcal vaccines. Khatib et al., documented a case of GBS in a 13-year-old male who was
positive for streptococcus pneumonia. Pet. Ex. 13.15 The authors of the article observed, “GBS
is an important cause of acute flaccid paralysis, due to a triggering factor infectious (like mainly
campylobacter, cytomegalovirus, Epstein-Barr virus, Mycoplasma pneumoniae, influenzas-like
illnesses), and non-infectious (like immunization, trauma, surgery and bone marrow transplants).
This triggering factor evokes immune responses that cross-react with peripheral nerve
components because of the sharing of cross-reactive epitopes (molecular mimicry), this immune
response is directed toward the myelin or axon of the peripheral nerve.” Id. at 3. The authors
opined, “It is possible therefore that pneumococcus has antigens which triggered an immune
response and cross-reacted with peripheral nervous system surface components due to molecular
mimicry. This is due to natural transformation of Streptococcus pneumoniae’s capsular
polysaccharide.” Id. Thus, the authors of the Khatib article endorsed the theory of molecular
mimicry for a wild pneumococcus infection for inducing GBS.
The article by Ravishankar described a case of a 66-year-old female who received a
PCV13 vaccine in January 2015 and then a second dose of PPSV23 in August 2015 which
contains many of the same antigens as the PCV13, and by September 2015 developed weakness
and leg paralysis. Pet. Ex. 14.16 She had evidence of mixed axonal and demyelinating
sensorimotor polyradiculopathy, a GBS variant. Id. at 1. The author set forth a theory of
autoimmunity; “The major mechanism resulting in the autoimmunity by adjuvanted vaccination
has been proposed to be due to the epitopes of a vaccine that initiate the development of
antibodies and/or T cells that could cross-react with the epitopes on myelin or axonal
glycoproteins.” Id. at 1-2. Further, the article explained Streptococcus pneumonia are,
15
Khatib, H. et al., Case Report: Guillain-Barre syndrome with pneumococcus-A new association in pediatrics, 11
IDCases 36-38 (2018). [Pet. Ex. 13].
16
Ravishankar, N, Guillain-Barre Syndrome Following PCV Vaccine, 4(1) J. Neurol Neurosurg. 134 (2017). [Pet.
Ex. 14].
22
“polysaccharide-encapsulated, gram positive, lancet-shaped organisms and pneumococcal
vaccines rely on these capsules to induce a serotype-specific immune response.” Id. at 2.
Further, the article described “The polysaccharide conjugated to a carrier protein uses an MHC
class II dependent response to present the carrier protein to carrier-peptide-specific helper T
cells. This leads to enhancement of the B-cell immune response, so that the antibody response is
of greater specificity and functionality.” Id. at 2. The article concluded, “Thus, it can be inferred
that the conjugated vaccine produces the enhanced B-cell immune response leading to
autoimmune reaction to the peripheral nerves.” Id. While case reports cannot establish
causation, they provide some evidence of causation. Coleman v. Sec’y of Health & Hum. Servs.,
No. 18-352, 2021 WL 1291677 (Fed. Cl. Spec. Mstr. Feb. 16, 2021). The author of the article
appears to endorse a theory of molecular mimicry between components of the pneumococcal
vaccines with components of the myelin in the nervous system, consistent with Dr. Steinman’s
theory.
The theory of molecular mimicry offered by Dr. Steinman in this case is not novel and
not unfamiliar in cases argued before this Court. Molecular mimicry has been accepted in the
Vaccine Program as a sound and reliable medical theory and has been persuasively linked to
different immune-mediated demyelinating conditions. See e.g. Stitt v. Sec’s of Health & Hum.
Servs., No. 11-140V, 2013 WL 3356791, at *8-9 (Fed. Cl. Spec. Mstr. May 31, 2013) (finding
petitioner’s biological mechanism of molecular mimicry demonstrated that the flu vaccine could
cause GBS); Roberts v. Sec’y of Health & Hum. Servs., No. 09-427V, 2013 WL 5314698 (Fed.
Cl. Spec. Mstr. Aug. 29, 2013) (finding that Tdap vaccine led petitioner to develop transverse
myelitis via molecular mimicry); Salmins v. Sec’y of Health & Hum. Servs., No. 11-140V, 2014
WL 1569478 (Fed. Cl. Spec. Mstr. Mar. 31, 2014 (finding that HPV vaccine caused petitioner to
develop GBS via molecular mimicry); Spayde v. Sec’y of Health & Hum. Servs., No. 16-1499V,
2021 WL 686682 (Fed. Cl. Spec. Mstr. Jan. 27, 2021) (finding that molecular mimicry is a sound
and reliable theory for the influenza vaccine to cause GBS). Reinhardt v. Sec’y of Health &
Hum. Servs., No. 17-1257V, 2021 WL 1851491 (Fed. Cl. Spec. Mstr. Apr. 2, 2021) (finding that
the flu vaccine caused petitioner’s optic neuritis).
Dr. Steinman acknowledged that most of the other cases involving molecular mimicry
involved protein homology and not often sugars. Tr. 50. In those cases, in which he testified, he
demonstrated homology through Blast searches of protein peptides in the vaccines and in the
nervous system. See Smith v. Sec’y of Health & Hum. Servs., No. 08-864V, 2016 WL 2772194
(Fed. Cl. Spec. Mstr. Apr. 18, 2016) (the special master accepted Dr. Steinman’s protein-based
theory of molecular mimicry between the vaccine and MS) and Robinson v. Sec’y of Health &
Hum. Servs., No. 14-952V, 2021 WL 2371721, at *8-10 (Fed. Cl. Spec. Mstr. Apr. 12, 2021)
(Dr. Steinman proposed a theory of protein-based molecular mimicry for inciting MS post-flu
vaccination). He testified in this case, that on one hand it is more challenging to discuss
molecular mimicry in the world of sugars and lipids, but on the other it is an instance where he
could show the actual chemical structure involved in the theory. Tr. 51. Importantly, he testified
that the most well studied example of molecular mimicry and GBS was to the infection with the
bacteria c. jejuni. Tr. 17. He explained that the classic example of molecular mimicry in GBS is
with c. jejuni, which is molecular mimicry to a sugar. Tr. 50-51. In this case, Dr. Steinman noted
that this case involves molecular mimicry with a specific component of the vaccine, the
phosphoglycerol, which is attached to the sugar [in the vaccine] and the same phosphate group
23
attached to the phospholipids in myelin which Ho showed to be the point of attack in the myelin
of MS patients. Id
Dr. Leist agreed with Dr. Steinman that molecular mimicry between c. jejuni and GBS
has been accepted in the medical literature. Tr. 95.17 But Dr. Leist argued, “much of molecular
mimicry that is normally discussed…is protein based, where the protein has a certain structural
homology… Here we are purporting that the sugar moieties, the bacteria on the pathogens may
have such a sequential homogeneity, but there is no information that this actually happens.” Tr.
96. Dr. Leist acknowledge that the vaccine is designed to induce an immune response against
the bacteria and that the sugar moieties [in the vaccine] are not a complete reflection of what is
on the native bacteria so you could “stretch the term molecular mimicry” because the anti-
vaccine response is designed to protect by providing an immune response. Tr. 97. However, he
stressed that there is not a “body of literature that links Prevnar-13 to the generation of GBS by
molecular mimicry.” Id.
Dr. Leist’s argument that there is “no reliable medical literature supporting,” petitioner’s
theory is unpersuasive. Resp. Ex. E at 5. Petitioner should not be faulted for the lack of
published literature on point with his case. Swaiss, at *27. A petitioner can satisfy Althen prong
one without having to provide epidemiologic studies or provide specific biological mechanisms.
See Andreu v. Sec’y of Health & Hum. Servs., 569 F.3d 1367, 1378-79 (Fed. Cir. 2009); Althen,
418 F.3d at 1280. Therefore, “a paucity of medical literature supporting a particular theory of
causation cannot serve as a bar to recovery.” Andreu, 569 F.3d at 1379. Instead, a petitioner’s
theory of causation must be supported by a reputable medical or scientific explanation and the
assessment of whether a proffered theory of causation is “reputable” can involve the assessment
of relevant scientific data. Andreu, 569 F. 3d at 1380-81 (citing Althen at 1278); see also
Knudsen, 35 F.3d at 548 (requiring a “sound and reliable or scientific explanation”). In this case,
petitioner presented medical literature that supported Dr. Steinman’s theory of molecular
mimicry. The defense based upon lack of epidemiological studies or lack of definitive proof of
the medical theory linking the Prevnar-13 vaccine is unpersuasive and requiring proof of such,
would impermissibly raise petitioner’s burden.
The Federal Circuit recently explained that petitioners need to demonstrate a sound and
reliable theory of causation, but it does not “require identification and proof of specific
biological mechanisms.” Kottenstette, ---Fed. Appx.---, 2021 WL 2434329 (Fed. Cir. June 15,
2021). Further, the Court reiterated that “proof of causation does not “require identification and
proof of specific biological mechanisms[.].” Id., at *7 (citing Knudsen, 35 F.3d at 549).
Additionally, molecular mimicry has been accepted as a sound and reliable theory without
17
This is consistent with other cases where special masters have recognized that c.jejuni infection can cause GBS
through molecular mimicry. See Isaac v. Sec’y of Health & Human Servs., No. 08-601V, 2012 WL 3609993, at *4
(Fed. Cl. Spec. Mstr. July, 30, 2012) (Observing that molecular mimicry has been used to explain the induction of
GBS by a bacterium, c.jejuni); Salmins v. Sec’y of Health & Hum. Servs., No. 11-140V, 2014 WL 1569478, at *13
(Fed. Cl. Spec. Mstr. Mar. 31, 2014) (noting that molecular mimicry is a generally accepted theory and Dr. Leist
agreed molecular mimicry is a well-documented explanation for how c.jejuni can cause GBS); Deshler v. Sec’y of
Health & Hum. Servs., No. 16-1070, 2020 WL 4593162, at *20 (observing, “The parties appear to agree that
molecular mimicry can also occur after exposure to certain bacterial antigens….Indeed much of the literature
offered in this matter establishes that exposure to bacteria such as c.jejuni is associated with an increased risk of
developing GBS via molecular mimicry.”).
24
demonstrating specific homology between a vaccine and the autoimmune injury. See Salmins, at
*14 (accepting molecular mimicry as an acceptable theory to satisfy Althen prong one without
demonstrating specific homology between the vaccine and GBS); Swaiss v. Sec’y of Health &
Hum. Servs., No. 15-286V-2019 WL 6520791, at *26-27 (accepting molecular mimicry as a
sound and reliable theory without requiring petitioner to demonstrate specific homology between
the vaccine and small-fiber neuropathy). Requiring definitive proof or epidemiology would
impermissibly raise the petitioner’s burden of proof.
While not required to show a specific mechanism, Dr. Steinman identified homology
between a non-sugar component of the pneumococcal vaccine and components in the myelin, as
the focus of cross-reactivity, leading to demyelination. The three articles he cited to, Chang, Ho,
and Gilburd, and the Prevnar-13 patent application, also demonstrate support for his theory. In
particular, the Ho article identified that the phosphate group in phospholipids in myelin was
targeted by auto-antibodies in MS patients apparently triggering demyelination. Dr. Steinman
persuasively argued that the same cross-reactive mechanism triggered by the Prevnar-13 vaccine
can cause similar demyelination in the peripheral nerves causing GBS.
The only other reasoned decision involving the Prenvar-13 vaccine and GBS is Deshler.
In that case, the Chief Special Master concluded that he could not find causation between the
vaccine and GBS based on the evidence presented in the case. Deshler v. Sec’y of Health &
Hum. Servs., No.16-1070, 2020 WL 4593162, at *21 (Fed. Cl. Spec. Mstr. July, 1, 2020). I have
concluded that the evidence presented in this case is much more persuasive than what was
presented by the petitioner in Deshler.
“[T]o require identification and proof of specific biological mechanisms would be
inconsistent with the purpose and nature of the vaccine compensation program.” Knudsen, 35
F.3d at 549. The purpose of the Vaccine Act’s preponderance standard is to allow the finding of
causation in a field bereft of complete and direct proof of how vaccines affect the human body.
Althen¸418 F. 3d at 1280 (emphasis added). As such, after reviewing the evidence submitted in
this case, including the medical literature, expert reports and testimony during the hearing, I find
that petitioner has presented a reputable scientific theory based on a sound and reliable scientific
explanation, demonstrating that the Prevnar-13 vaccine can cause GBS, thus satisfying Althen
prong one.
B. Althen prong two
Under Althen prong two, petitioner must prove “a logical sequence of cause and effect
showing that the vaccination was the reason for [her] injury.” Althen, 418 F.3d at 1278. This
prong is sometimes referred to as the “did it cause” test; i.e. in this particular case, did the
vaccine(s) cause the alleged injury. Broekelschen, 618 F. 3d at 1345 (“Because causation is
relative to the injury, a petitioner must provide a reputable medical or scientific explanation that
pertains specifically to the petitioner’s case”). Temporal association alone is not evidence of
causation. See Grant v. Sec’y of Health & Hum. Servs., 9556 F.2d 1144, 1148 (Fed. Cir. 1992).
This sequence of cause and effect is usually supported by facts derived from petitioner’s medical
records. Althen, 418 F.3d at 1278; Andreu, 569 F.3d at 1375-77; Capizzano, 440 F.3d at 1326;
Grant, 956 F.2d at 1148. Treating physicians are likely to be in the best position to determine
25
whether a logical sequence of cause and effect show[s] that the vaccination was the reason for
the injury. Paluck v. Sec’y of Health & Hum. Servs., 786 F.3d 1373, 1385 (Fed. Cir. 2015)
(quoting Andreu, 569 F.3d 1375).
Prior to receiving the Prevnar-13 vaccine, petitioner was a relatively healthy and active
65-year-old man. Petitioner received the pneumococcal conjugate vaccine on May 13, 2015 and
then on May 27, 2015, approximately 14 days later, presented to the emergency department with
left-sided facial weakness, a symptom of the Miller Fisher variant of GBS. Pet. Ex. 6 at 1. His
symptoms became more widespread over the succeeding several days and included bilateral
facial, weakness, diplopia and general weakness. On examination the doctors noted areflexia
and significantly elevated protein in the cerebral spinal fluid all consistent with a diagnosis of the
Miller Fisher variant of GBS.
Dr. Steinman opined that the Prevnar-13 vaccine has constituents that induce antibodies
known to cross-react with the myelin and that are found in patients with GBS. Pet. Ex. 10 at 14.
Dr. Steinman explained that molecular mimicry fits the present case because the
phosphoglycerol component of the Prevnar-13 vaccine contains sufficient homology with the
phosphate group in the myelin and that the phosphate group has been shown to be attacked in a
similar autoimmune, neuroinflammatory, demyelinating disease. There were no alternative
explanations such as concomitant infection to explain the stimulation of the immune response,
and the timing of 14 days to onset is appropriate. Pet. Ex. 10 at 13; Pet. Ex. 16 at 1; Tr. 42.
Dr. Steinman observed that prior to the administration of the Prevnar-13 vaccine on May
13, 2015, petitioner had some health issues, in particular atrial fibrillation but never
demonstrated any significant neurological deficits. Tr. 12. He testified that petitioner presented
a “classic constellation” of symptoms, including neurological exam, laboratory tests that showed
significantly elevated protein in the cerebral spinal fluid with few cells, involvement of the facial
nerves and ultimately some involvement of petitioner’s eye movements. Tr. 13-14. Dr.
Steinman also observed that alternative causes were ruled out, including stroke, infection and
vitamin B12 deficiency. Pet. Ex. 10 at 9; Pet. Ex. 6 at 26. Additionally, there were “no
gastrointestinal symptoms…no diarrhea, and no fever identified.” Tr. 15
Further, multiple treating physicians associated the onset of petitioner’s Miller Fisher
variant of GBS to the pneumococcal vaccination. See Pet. Ex. 6 at 69-70, 107; Pet. Ex. 3 at 6;
Pet. Ex. 2 at 13. When petitioner was admitted to Theda Clark Medical Center on June 1, 2015,
attending neurologist, Dr. Huder observed that petitioner had received the pneumococcal 13
vaccination a week and half prior to admission and noted petitioner had developed leg weakness
two days prior to hospital admission. On the same day, when plasmapheresis was initiated,
petitioner’s diagnosis was, “Guillain-Barré syndrome following vaccination.” Pet. Ex. 6 at 38.
Petitioner’s diagnosis of “Miller-Fisher variant Guillain-Barré syndrome after vaccination,” did
not change while he was hospitalized. See Pet. Ex. 6 at 31, 69-70, 94, and 107. The petitioner’s
discharge summary again noted that he had received a recent vaccination, stating, “The patient
had a recent pneumococcal vaccine a week and half prior to admission.” Pet. Ex. 6 at 103.
On July 3, 2015, petitioner had an appointment with his primary care physician, Dr.
Bogner, for a follow-up following hospitalization. Pet. Ex. 3 at 6. Petitioner’s diagnosis was
26
recorded as, “Guillain-Barré syndrome following vaccination.” Id. Dr. Bogner also had noted
that one of petitioner’s active diagnoses was, “Miller-Fisher variant Guillain-Barré syndrome,
following vaccination.” Id. at 9.
On August 3, 2015, petitioner had a follow-up appointment with neurologist, Dr. Gizell
Larson. Pet. Ex. 2 at 13. Dr. Larson wrote, “[Petitioner] was hospitalized for a very long time at
Theda Clark with Miller Fisher variant of Guillain-Barré syndrome that developed within 1 week
of receiving a pneumococcal vaccine.” Id. Dr. Larson specifically related the cause of
petitioner’s GBS with the pneumococcal 13 vaccine, writing, “I do believe that this is, indeed,
due to pneumococcal vaccine.” Id. (emphasis added).
The onset of petitioner’s symptoms and the progression of those symptoms is consistent
with petitioner’s theory that the phosphoglycerol component of the antigens in the Prevnar-13
vaccine caused an immune reaction involving a cross-reaction with the phosphoglycerol
components of the myelin, leading to demyelination. Further, there was no evidence in the
record to suggest that the onset of petitioner’s Miller-Fisher GBS was the result of any other
underlying condition and multiple treating physicians associated the Prevnar-13 vaccine as
causing petitioner’s injury. As explained below the timing was also consistent with the theory
proposed. As such, petitioner has demonstrated by preponderant evidence a logical cause and
effect, satisfying Althen prong two.
C. Althen prong three
Althen prong three requires establishing a “proximate temporal relationship” between the
vaccination and the injury alleged. Althen at 1281. That term has equated to the phrase,
“medically-acceptable temporal relationship.” Id. A petitioner must offer “preponderant proof
that the onset of symptoms occurred within a timeframe which, given the medical understanding
of the disorder’s etiology, it is medically acceptable to infer causation.” de Bazan v. Sec’y of
Health & Hum. Servs., 539 F.3d 1347, 1352 (Fed. Cir. 2008). The explanation for what is
medically acceptable timeframe must also coincide with the theory of how the relevant vaccine
can cause an injury (Althen prong one). Id. at 1352.
Petitioner argues that the onset of his GBS symptoms, which began between nine and
fourteen days after receiving the Prevnar-13 vaccination demonstrate a proximate temporal
relationship between the vaccine and the onset of petitioner’s GBS. Pet. Post-Hearing Brief at
17-18. Dr. Steinman stated that the medically acceptable timeframe between vaccination and
onset of GBS was between a few days to about six or seven weeks. Tr. 41.; Pet. Ex. 8 at 8-9. He
stated that there is an increased incidence of GBS in the time frame between one to seven weeks
is consistent with what is seen for onset of GBS following the influenza immunization. Pet. Ex.
8 at 9. He noted that the timeframe of a few days to six or seven weeks for GBS following the
1976 swine flu immunization is often used as a surrogate in other cases, as it has been the most
extensively studied relationship. Tr. 41.; Pet. Ex. 8 at 9. Dr. Steinman cited to an article by
Schonberger et al., which found that following the receipt of the 1976/1977 flu vaccine there
27
was an increased risk of GBS within the 5-week period post-vaccination, although the increase
risk lasted for approximately 9 to 10 weeks. Pet. Ex. 10, Tab 17 at 1.18
Respondent argued that the relationship of the onset of petitioner’s symptoms and the
Prevnar 13 vaccine was “more likely coincidental.” Resp. Post-Hearing Brief at 17. Dr. Leist
stated that, “The time interval observed with forms of influenza in 1976/1977 is not applicable to
forms of conjugated pneumococcal vaccine.” Resp. Ex. A at 5. He stated that Prevnar-13 and
the 1976/77 forms of influenza vaccine have different compositions. Id. During his testimony,
he contended that the influenza is a split viral vaccine and the Prevnar 13 vaccine “is made of
well-controlled ingredients that are highly purified. So, any comparison between the influenza
vaccine and the Prevnar [13 vaccine] [can] only go so far.” Tr. 111-12. While Dr. Leist stated
the obvious that Prevnar and influenza are different vaccines, there does not appear to be any
reason that the timing of an autoimmune cross reaction would necessarily be different. As
observed above, most of the petitioner’s treating physicians considered the time frame to be
appropriate.
Dr. Leist also acknowledged that the Haber article, discussed above, found 11 cases
following Prevnar-13 vaccination, with the median onset interval of symptoms to be nine days
(the range from 2-34 days). Resp. Ex. C, Tab 1 at 4. Further, Dr. Dr. Leist testified that the 42-
day time interval that was found to be biologically plausible between the 1976/1977 influenza
vaccine and GBS was applied by the authors in the Haber study because, “it’s the best
information we have.” Tr. 128-29. Later, he explained that he did not know if the “influenza
experience is actually applicable to a polysaccharide vaccine.” Tr. 142. But he conceded that
information specific to the Prevnar-13 vaccine is not available, stating “Everything that we know
about timing between vaccines and Guillain-Barré Syndrome comes from the observation with
the influenza vaccine.” Id.
Both Dr. Steinman and Dr. Leist acknowledged that there is a lack of studies, outside of
the Schonberger study, which would provide a timeframe for the onset of GBS following
vaccination. Tr. 41; Tr. 142. Dr. Leist, conceded that the generally accepted timeframe of a 42-
day time interval found to be biologically plausible with the influenza vaccine was a reasonable
timeframe to use. Tr. 128-29. Specifically, Dr. Leist testified that the use of the 42-day
timeframe the authors used in the Haber article to examine reports of injuries post pneumococcal
vaccination was a “reasonable standard,” and that the authors use of the 42-day timeframe was
based on the 1976/1977 influenza program, “because it’s the best information we have.” Tr.
128-29.
In this case, the onset of petitioner’s symptoms occurred approximately 12-14 days
following the receipt of his Prevnar-13 vaccination on May 13, 2015. On May 27, 2015,
fourteen days post-vaccination, petitioner reported to the Theda Clark Emergency Department
with complaints of headache, body aches and difficulty sleeping which began two days ago. Pet.
Ex. 6 at 1. Petitioner also reported that he developed left-sided facial droop while brushing his
teeth in the morning of May 27, 2015. Id. Thus, petitioner’s symptoms, which presented at a
minimum of 12 days post-vaccination is consistent with the Haber article’s finding that onset of
18
Schonberger, L., et al., Guillain-Barre Syndrome Following Vaccination in the National Influenza Immunization
Program, United States, 1976-1977, 110 Am. J. of Epidemiology 105-123 (1979). [Pet. Ex. 10, Tab 17].
28
GBS post-Prevnar 13 vaccination occurred between 2-34 days and is fairly close to the median
time frame of onset noted in that study. Additionally, the onset of petitioner’s symptoms
occurred within the medically accepted timeframe consistent with petitioner’s theory of
molecular mimicry that has been accepted in other Vaccine Program cases. See Reinhardt v.
Sec’y of Health & Hum. Servs., 2021 WL 1851491, at *18 (finding the onset of injury twelve
days post vaccination is an acceptable timeframe in which to infer causation); Spayde v. Sec’y of
Health & Hum. Servs., 2021 WL 686682*19 (finding an onset of GBS symptoms eight weeks
post-vaccination is appropriate given the causal mechanism of molecular mimicry.); Robinson v.
Sec’y of Health & Hum. Sers., No. 14-952, 2021 WL 2371721, at *22 (Fed. Cl. Spec. Mstr. Apr.
12, 2021) (finding that an onset of symptoms for multiple sclerosis of 13 days post-vaccination is
a medically acceptable timeframe to infer causation given the mechanism of molecular mimicry).
Based on the existing medical literature, expert testimony, and medical records, petitioner
has demonstrated that the onset of GBS 12 to 14 days after receiving the Prevnar 13 vaccine is an
acceptable timeframe in which to infer causation. As such, petitioner has satisfied the third
Althen prong.
V. Conclusion
Based on the record as a whole, including medical records, the petitioner’s expert
opinion, and the submitted medical literature, I find that petitioner has persuasively established a
sound and reliable theory to establish by preponderant evidence proof of the three Althen prongs
and to establish that petitioner’s May 13, 2015 Prevnar-13 vaccination caused his Miller-Fisher
GBS. Thus, I find petitioner has established by preponderant evidence that he is entitled to
compensation. A separate damages order will be issued.
IT IS SO ORDERED.
s/Thomas L. Gowen
Thomas L. Gowen
Special Master
29