Justia Wyoming Supreme Court Opinion Summaries

Articles Posted in Medical Malpractice
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Johanna Hicks died from an accidental overdose of her medications. Hicks’ estate filed suit against the doctor who treated Hicks for severe chronic pain for negligently causing Hicks’ death and filed suit against the doctor’s employer, claiming it should be held vicariously liable for the doctor’s negligence. A jury found that the doctor was not negligent in his treatment of Johanna and returned a defense verdict. On appeal, the estate argued that the district court erred by permitting the doctor and his codefendant to introduce the testimony of two expert witnesses on the doctor’s adherence to the appropriate standard of care for practitioners of pain medicine. The Supreme Court affirmed, holding that the estate failed to preserve for appellate review the issue regarding the admissibility of the testimony of the two standard of care experts.View "Hicks v. Zondag" on Justia Law

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Plaintiff, as personal representative for Connie Scribner, filed a wrongful death complaint against Defendants, Dr. Sean Beyer and Emergency Medical Physicians, P.C., alleging that Defendants’ care of Scribner fell below the standard of care. The first trial ended in a mistrial, and a second trial was held. The jury rendered a verdict in favor of Defendants. Plaintiff appealed and Defendants cross-appealed. The Supreme Court affirmed, holding that the district court did not abuse its discretion in declaring a mistrial or in admitting the testimony of Dr. Beyer and Defendants’ emergency medicine expert concerning certain medical tests and a pneumonia severity index. View "Miller v. Beyer" on Justia Law

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Plaintiffs filed a medical malpractice action against the Campbell County Memorial Hospital under the Wyoming Governmental Claims Act (Act), alleging that Amanda Phillips, a certified nurse anesthetist for Northern Plains Anesthesia Associates, which provided anesthesia services for the hospital, acted as an employee or agent of the hospital, making the hospital vicariously liable for Phillips’ alleged negligence. The hospital filed a motion for partial summary judgment, arguing that a government hospital could not be vicariously liable for acts of non-employees or independent contractors under the doctrine of ostensible agency. The district court denied the motion based on Sharsmith v. Hill. The Supreme Court reversed, holding that the district court erred in its interpretation of Sharsmith and that Sharsmith did not create an implied waiver of sovereign immunity under the Act. View "Campbell County Memorial Hosp. v. Pfeifle" on Justia Law