Hale v. Sharp Healthcare
Annotate this CaseIn plaintiff-appellant Dagmar Hale's second appeal in a class action against Sharp Healthcare and Sharp Grossmont Hospital (collectively, Sharp), she argued Sharp unfairly charged her and other uninsured patients more for emergency services than the fees it accepted from patients covered by private insurance or governmental plans. In the first appeal, the Court of Appeal partially reversed a judgment of dismissal following a demurrer. The trial court thereafter certified the class. After engaging in discovery, Sharp moved to decertify the class arguing a class action was inappropriate based on lack of ascertainability and lack of predominantly common issues. The trial court considered the evidence presented and found there was no reasonable means to ascertain the members of class without individual inquiries of more than 120,000 patient records and continued class treatment was not appropriate because individualized issues, rather than common issues, predominate, particularly with respect to whether or not class members are entitled to recover damages. Finding no abuse of discretion, the Court of Appeal affirmed the order decertifying the class.
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