Bright v. Sorensen
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In these three medical malpractice actions the Supreme Court affirmed in part and reversed in part the district court's denial of Defendants' motions to dismiss and remanded to uphold Plaintiffs' opportunity to develop and present evidence in support of the "fraudulent concealment" exception to the two-year limitations period, holding that Plaintiffs sufficiently alleged fraudulent concealment to avoid dismissal and that the sufficiency of the evidence was a matter for summary judgment or trial.
In each case, Defendants moved to dismiss on the ground that Plaintiffs' claims were time-barred under the Utah Health Care Malpractice Act and that the time bar was not tolled by either the foreign object or fraudulent concealment exceptions set forth in the statute in part because Plaintiffs did not allege fraudulent concealment with the particularity required by Utah R. Civ. P. 2(c). The motions to dismiss were denied in large part. The Supreme Court affirmed the decisions denying the motions to dismiss on time-bar grounds and reversed the decision dismissing the negligent credentialing claim, holding (1) Plaintiffs sufficiently alleged fraudulent concealment to avoid dismissal; (2) the foreign object exception did not apply in this case; and (3) the Act did not retroactively bar Plaintiffs' negligent credentialing claims.
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