National Deaf Academy, LLC v. Townes

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For a claim to sound in medical malpractice, the act from which the claim arises must be directly related to medical care or services, which require the use of professional judgment or skill. This case arose out of an action brought by Denise Townes on behalf of Cinnette Perry, and Perry, individually, against the National Deaf Academy, by and through its employees, for injuries Perry sustained while she was a resident at the Academy. Perry was injured when the Academy’s employees attempted to physically restrain her with a Therapeutic Aggression Control Techniques (TACT) hold. The trial court granted summary judgment for the Academy, concluding Townes alleged medical malpractice claims, rather than negligence claims, and failed to comply with the medical malpractice presuit requirements. The court of appeals reversed, holding that Townes’s claims sounded in ordinary negligence because the employees’ actions were “not for treatment or diagnosis of any condition” and did not require medical skill or judgment. The Supreme Court affirmed, holding that Townes’s claims did not arise from medical malpractice because the administration of a TACT hold was not directly related to medical care or services. View "National Deaf Academy, LLC v. Townes" on Justia Law