Justia Medical Malpractice Opinion Summaries

Articles Posted in Injury Law
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Plaintiffs brought two separate actions alleging that Hazel Smart died as a result of a defective catheter used in her dialysis treatment at Greater Waterbury Gambro HealthCare. The trial court consolidated the two actions, which brought claims sounding in negligence, medical malpractice, loss of consortium, and products liability. During pretrial proceedings, the trial court imposed monetary sanctions on Plaintiffs for failure to comply with a discovery order. Plaintiffs appealed. The appellate court dismissed the appeal for lack of subject matter jurisdiction, finding that the trial court's discovery order was not an appealable final judgment. The Supreme Court affirmed, holding that the appellate court properly dismissed the appeal, as the trial court's order did not constitute an appealable final judgment. View "Incardona v. Roer" on Justia Law

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At the trial of this medical-negligence case, plaintiff’s only expert abandoned his pretrial opinion, and over the objection of the defendant, testified to a new opinion that was never disclosed in discovery. The Court of Appeals reversed and remanded for a new trial. The Supreme Court concluded that the trial court should have granted a judgment notwithstanding the verdict, reversed in part and remanded the case for entry of judgment in favor of the defendant. View "Cleveland v. Hamil " on Justia Law

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Plaintiff Carmen Talavera suffered a stroke while visiting a store, incurring permanent disabilities that she attributed to the medical malpractice of personnel at the Southwest Medical Center (SWMC). Plaintiff brought claims against a number of the medical personnel defendants alleging that they should have diagnosed and immediately treated her stroke symptoms with blood-clotting therapy or proceeded with early surgical intervention to prevent damage caused by swelling in her brain. The district court granted summary judgment finding Plaintiff failed to demonstrate their negligence caused her injuries. Upon review, the Tenth Circuit concluded the district court did not err. Plaintiff failed to: establish a dispute of fact that she would have qualified for blood-clotting therapy, or show that any doctor owed her a duty of care when this therapy was still a viable treatment option. View "Talavera v. Wiley, et al" on Justia Law

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Decedent admitted herself to Hospital for treatment for major depression and personality disorder. At the time of her admission, Decedent was diagnosed with high suicide ideation and had previously attempted suicide. One week later, Decedent committed suicide at Hospital. Plaintiff, the executor of Decedent's estate, filed a medical malpractice action against Hospital and Decedent's treating psychiatrist. The jury returned a verdict in favor of Defendants. The appellate court remanded the case for a new trial, concluding that the trial court improperly declined to the poll the jury to determine whether any of the jurors had read an article regarding the subject matter of the case published prior to trial. The Supreme Court reversed, holding that, under the circumstances of this case, the appellate court improperly determined that the trial judge abused his discretion in declining to poll the jury. View "Kervick v. Silver Hill Hosp." on Justia Law

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Felice McGathey appealed a circuit court's grant of summary judgment in favor of Brookwood Health Services, Inc., d/b/a Brookwood Medical Center, and Scott Appell, M.D., in her medical malpractice action; she also challenged the trial court's order denying her motion for leave to amend her complaint to substitute real parties for fictitiously named defendants. The Supreme Court affirmed in part, and reversed in part. McGathey suffered a severe burn on the little finger of her left hand, permanent disfigurement and impaired mobility following left-shoulder arthroscopy, subacromial decompression, and distal clavicle resection. A Spider Limb Positioner was used in the surgery. A part of the positioner was sterilized, but was not given a chance to cool down before it was used in the surgery. And because defendants allowed the hot part to be used on McGathey during the surgery, she suffered her injuries. Based on a review of the record, the Supreme Court concluded that McGathey produced substantial evidence of negligence for one of the Brookwood employees and reversed the grant of summary judgment in that defendant's favor. The Court affirmed the summary judgment in favor of Dr. Appell. The case was remanded for further proceedings. View "McGathey v. Brookwood Health Services, Inc." on Justia Law

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The issue before the Supreme Court in this case centered on whether physicians employed as faculty members at the Medical College of Georgia ("MCG") were entitled to official immunity in treating a patient at MCG's Children's Medical Center. Plaintiffs-Appellees Kenneth Jones and Clara Ramon filed a medical malpractice action against Appellants Prem Singh Shekhawat, M.D. and Wayne Mathews, M.D., along with other defendants, arising from treatment rendered to Plaintiffs' child at the Center in 2003. The trial court granted summary judgment to both Appellants, concluding that they were entitled to official immunity under the Georgia Tort Claims Act. The Court of Appeals reversed, finding a genuine issue of material fact as to whether Appellants, in treating Plaintiffs' child, were acting within the scope of their employment with the State, using the Supreme Court's holding in "Keenan v. Plouffe," (482 SE2d 253 (1997)). After further review, the Supreme Court concluded that "Keenan" should have been overruled, because it conflated the standard for official immunity with that for sovereign immunity. Utilizing the proper analysis, the Court held that Appellants were entitled to official immunity because they were acting within the scope of their state employment in rendering the medical care at issue. View "Shekhawat v. Jones " on Justia Law

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Respondents filed this health care liability action against Petitioner. The trial court awarded Respondents $9 million in actual damages and $3 million in punitive damages. The court of appeals reversed the punitive damages award. The Supreme Court reversed the court of appeals' judgment affirmance of the actual damages award, finding that Petitioner's liability was statutorily capped. On remand, the trial court vacated the original judgment and awarded Respondents actual damages capped according to the relevant statute plus postjudgment interest calculated from the date of the remand judgment. The court of appeals reversed the remand judgment, holding that the trial court erred by vacating its original judgment and by calculating the postjudgment interest from the date of the remand judgment rather than the date of the original judgment. The Supreme Court affirmed, holding (1) the court of appeals had jurisdiction to review the trial court's remand judgment; (2) postjudgment interest must be calculated from the date of the original judgment; and (3) the trial court's order vacating the original judgment was error, but it was not reversible error. Remanded. View "Phillips v. Bramlett" on Justia Law

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Decedent died following complications that arose when she received anesthesia. Decedent's husband (Plaintiff) filed suit against various health care providers, including Defendant, which contracted with the hospital to provide anesthesia services to its obstetric patients. Plaintiff alleged that Defendant was vicariously liable for the negligent acts of its corporate owner and president, a medical doctor, who was on call the night Decedent received the anesthesia but refused to come to the hospital to administer the anesthesia. Defendant failed to raise the statute of repose as a defense to the vicarious liability claim. After a jury trial, the trial court set aside the verdict for Defendants and granted a new trial. Defendant then moved to amend its answer to assert a repose defense and to dismiss the case based on the statute of repose. The trial court denied Defendant's motions, ruling that Defendant had waived the statute of repose defense. The Supreme Court affirmed, holding that Defendant failed to timely raise the statute of repose as an affirmative defense. View "Pratcher v. Methodist Healthcare Memphis Hosps." on Justia Law

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The issue before the Supreme Court in this case centered on whether a non-health care provider could be a joint tortfeasor with a health care provider being sued for medical malpractice. The non-health care provider in this case was an answering service tasked with relaying calls from a patient to their doctor after office hours. The patient learned that the service failed to convey his messages to his doctor despite the doctor giving the service explicit instructions to call. The patient sued the doctor for malpractice, and included the answering service. The service moved to dismiss, claiming that it could not be considered a joint tortfeasor under the statute under which the doctor had been sued. Finding that the clear language of La. R.S. 40:1299.47(A)(2)(a) applied to filing suit against the non-health care provider, the Supreme Court reversed the lower court rulings which granted and affirmed summary judgment in favor of the non-health care provider. The case was remanded for further proceedings. View "Milbert v. Answering Bureau, Inc." on Justia Law

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Plaintiff, as the administrator of his sister's estate, sued defendant in Connecticut state court, alleging that it negligently failed to timely diagnose the colon cancer that caused her death. Defendant removed the case to federal court. On appeal, plaintiff challenged the district court's dismissal of his medical malpractice claim for lack of subject matter jurisdiction. The court concluded that the district court may have mistakenly interpreted its precedent in A.Q.C. ex rel. Castillo v. United States, which held that it was not an abuse of discretion to deny equitable tolling to a plaintiff whose law firm did "literally nothing" to determine the federal status of plaintiff's health care provider; the district court did not fully consider whether, despite the differences between this case and A.Q.C., plaintiff's lawyers had reason to know that they should have investigated defendant's federal status; and, therefore, the court remanded for reconsideration because it could not be certain on the present record whether the district court's decision should be affirmed under the correct legal standard. View "Phillips v. Generations Family Health Center" on Justia Law