Arregui v. Gallegos-Main

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This appeal involed a medical malpractice claim brought against a chiropractor for negligently causing a patient to suffer a stroke after treatment. In 2007, Appellant Martha Arregui sought treatment for her neck and back pain from Respondent Dr. Rosalinda Gallegos-Main. Arregui originally alleged that Dr. Gallegos-Main owed her a duty to treat her in a medically competent manner under Idaho's Medical Malpractice Act, and failed to do so when Arregui was diagnosed several weeks later as having suffered a stroke after a neck manipulation by Dr. Gallegos-Main. Arregui filed suit against the chiropractor and the facility, Full Life Chiropractic, in 2009. Dr. Gallegos-Main deposed Arregui's expert witness and discovered that she had no knowledge of the local standard of care. Consequently, Dr. Gallegos-Main moved for summary judgment, arguing that Arregui failed to meet the requirements for establishing a claim for medical malpractice which requires expert testimony regarding the local standard of care. Three days after the deadline, Arregui filed her Memorandum in Opposition to Defendant's Motion for Summary Judgment and included an affidavit from her expert with a sworn statement that she consulted a local chiropractor and was now familiar with the local standard of care. Dr. Gallegos-Main filed a Motion to Strike the affidavit as untimely and as a sham affidavit. Arregui unsuccessfully moved for reconsideration, arguing the court erred in striking her expert's affidavit and presented a new argument in the alternative that the court improperly granted summary judgment because the Medical Malpractice Act did not apply to chiropractors. The district court entered a final order denying the motion. Upon review, the Supreme Court affirmed the district court. View "Arregui v. Gallegos-Main" on Justia Law