Cannon ex rel. Good v. Reddy

After Plaintiff filed a health care liability action against Defendant, the General Assembly enacted Tenn. Code Ann. 29-26-121 and -122, which implemented pre-suit notice and certificate of good faith requirements. Plaintiff subsequently dismissed her original action and filed two successive actions. The second action did not comply with sections 29-26-121 and -122, but the third action complied with the statutes. Plaintiff filed a motion to consolidate her second and third actions. Defendant moved to dismiss, arguing that Plaintiff’s second action should be dismissed for failure to comply with the notice and certificate of good faith requirements and that her third action should be dismissed based on the doctrine of prior suit pending. The trial court denied the motions to dismiss. The Supreme Court granted Defendant’s application for extraordinary appeal. During the pendency of the appeal, Plaintiff voluntarily dismissed her second action. The Supreme Court affirmed the judgment of the trial court, holding that Plaintiff’s third complaint was timely filed because Plaintiff properly provided pre-suit notice of her claim prior to filing her third action and was entitled to a 120-day extension in which to refile her complaint. Remanded.View "Cannon ex rel. Good v. Reddy" on Justia Law