Justia Medical Malpractice Opinion Summaries

Articles Posted in Rhode Island Supreme Court
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Pearl Archambault died while in the care of Haven Health Center of Greenville (Haven Health) after a nurse mistakenly administered a lethal overdose of morphine. The administratrix of her estate, Plaintiff, filed a medical malpractice action against Haven Health. Health Haven subsequently filed for Chapter 11 bankruptcy. Thereafter, Plaintiff amended her complaint to add Columbia Casualty Company, the professional liability insurer of Health Haven, as a defendant and asserted two counts against Columbia directly based on R.I. Gen. Laws 27-7-2.4, which permits an injured party to proceed against an insurer when the insured has filed for bankruptcy. The superior court entered default judgment against Haven Health. The court then granted summary judgment in favor of Columbia. The Supreme Court reversed and remanded with instructions to enter judgment against Columbia, holding that the superior court erred in interpreting Rhode Island law and that the insurance contract between Columbia and Health Haven should be construed in Plaintiff's favor. View "Peloquin v. Haven Health Ctr. of Greenville, LLC" on Justia Law

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Dr. James Gallo treated Plaintiff in 2003 and 2004. Thereafter, Plaintiff filed a complaint against Gallo and West Bay Psychiatry Associations, including claims for slander for remarks uttered in two separate proceedings. The first alleged slander occurred when Gallo's deposition was taken in connection with Plaintiff's case before the Workers' Compensation Court (WCC). The second alleged slander occurred when Gallo testified before the Rhode Island Department of Education (RIDE) regarding Plaintiff's alleged wrongful termination from her teaching position. The superior court entered summary judgment for Defendants on Plaintiff's slander claims. The Supreme Court affirmed, holding that the motion justice did not err in finding (1) Plaintiff's claim for slander based on Gallo's WCC deposition testimony was time-barred; and (2) Plaintiff's claim for slander based on Gallo's RIDE testimony was immunized from defamation claims by the testimonial privilege because it qualified as having occurred in a judicial proceeding. View "Francis v. Gallo" on Justia Law

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This appeal arose from a wrongful death action. Plaintiffs alleged medical negligence. The civil suit and eventual trial took place in the wake of the death of Peter Almonte, who in 2000, killed himself approximately thirty-six hours after he was discharged from a hospital emergency room after an "severe psychological episode." Hospital personnel "decided" to honor Mr. Almonte's demand to be discharged, which plaintiffs alleged was a breach of the doctors' and hospital's duty arising from a patient/physician relationship. The jury returned a verdict of no negligence on the part of one of the defendants, Dr. Rita Kurl, M.D. Plaintiffs moved for a new trial, and defendants renewed their previously made motion for judgment as a matter of law. The trial court rejected the jury's findings as to the absence of negligence, but granted defendants motion because the court concluded that plaintiffs had failed to prove their case by a preponderance of the evidence. Accordingly, plaintiffs' motion was denied. On appeal, plaintiffs contended that the trial justice erred: (1) in granting defendants' Rule 50 motion for judgment as a matter of law; (2) in refusing to give jury instructions with respect to the doctrine of spoliation; (3) in refusing plaintiffs' request for an evidentiary presumption on the issue of causation; and (4) in denying plaintiffs' Rule 59 motion for a new trial. Finding no basis upon which it could grant plaintiffs the relief they sought, the Supreme Court affirmed the trial court's decisions. View "Almonte v. Kurl" on Justia Law

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Plaintiff Martin Malinou filed a wrongful death and medical negligence action against Miriam Hospital and other medical professionals after his ninety-four year old mother died. Defendants filed motions for summary judgment on the grounds that plaintiff's claims were not supported by competent expert testimony and that plaintiff could not meet his burden of proof on the issues of breach of the standard of care and causation. The trial justice granted summary judgment in favor of all defendants. Plaintiff appealed. The Supreme Court affirmed, holding (1) given plaintiff's repeated noncompliance with discovery orders, the trial justice did not abuse her discretion by precluding two doctors from testifying as expert witnesses; (2) because plaintiff failed to present sufficient evidence to support his underlying claims for medical negligence and wrongful death, plaintiff did not have a viable claim for negligent infliction of emotional distress or for loss of society and companionship; (3) adopting a loss-of-chance doctrine would not preclude the entry of summary judgment in favor of defendants; and (4) plaintiff did not raise a genuine issue of material fact in showing one of defendant doctors filed a false death certificate in violation of R.I. Gen. Laws 11-18-1. View "Malinou v. The Miriam Hospital" on Justia Law

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Plaintiff Deborah Dawkins was treated by defendant David Siwicki during an emergency room visit after the plaintiff fell and injured her left wrist. The plaintiff subsequently filed a medical malpractice lawsuit, alleging negligent diagnosis and treatment by the defendant. The plaintiff was initially treated by the defendant and subsequently underwent multiple surgeries over the span of several years, which the plaintiff alleged were necessary because of the defendant's alleged negligent treatment of her injury. The jury returned a verdict for the defendant. The plaintiff appealed, raising a number of arguments before the Supreme Court, many of which centered around the defense of the plaintiff's comparative negligence based on the defendant's contention that cigarette smoking impeded her treatment. The Supreme Court affirmed the judgment of the superior court, finding the trial justice did not abuse his discretion in the arguments raised by the plaintiff regarding pretrial ruling matters, alleged trial errors, and posttrial motions. View "Dawkins v. Siwicki" on Justia Law