Cortez v. Cook Inc., No. 20-3434 (7th Cir. 2022)
Annotate this Case
Cortez sued Cook, alleging that she was injured by an Inferior Vena Cava Filter, implanted in her in 2006 for the prevention of pulmonary embolisms. Cortez’s action was part of consolidated multidistrict proceedings. Accordingly, Cortez filed a Short‐Form Complaint that incorporated counts from the Master Consolidated Complaint for Individual Claims, alleging product liability, negligence, breach of express and implied warranty, and violations of Oregon’s Unlawful Trade Practices Act.
Cook argued that the product liability claims were filed beyond the time period in the statute of repose of Cortez’s home state, Oregon. Cortez countered that the Oregon statute incorporates Indiana law because the product was manufactured there, which allows for equitable tolling of the limitations period, and that the complaint sufficiently alleged entitlement to tolling based on fraudulent concealment. She alleged that Cook knew the product was defective and, through affirmative misrepresentations and omissions, actively concealed significant risks, continuing to promote the Filter as safe and effective even though inadequate clinical trials had been performed.
The district court dismissed the claims, finding the allegations insufficient to demonstrate fraudulent concealment. The Seventh Circuit affirmed, applying Indiana law. Because these product liability claims are subject to a statute of repose, and fraudulent concealment cannot extend the time to file claims for such a statute, the claims are untimely.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.