Nipper V. Wootton
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The Supreme Court of the State of Idaho affirmed the judgment of the District Court of the Third Judicial District of the State of Idaho, Washington County, in a medical malpractice action brought by Vivian Nipper against Dr. Lore Wootton, M.D., Dr. Robert Mairs, D.O., and the Weiser Memorial Hospital District. Nipper alleged that she was injured during the delivery of her child via a cesarean section when Dr. Wootton negligently cut her bladder, causing significant damage. Dr. Mairs was called to assist in repairing the injury, but Nipper alleged his efforts also fell below the standard of care.
After a significant period of discovery, both Dr. Wootton and Dr. Mairs moved for summary judgment on the claims asserted against them. In response to each motion, Nipper moved for Rule 56(d) relief, requesting additional time to respond. The district court denied both requests for Rule 56(d) relief and granted summary judgment in favor of Dr. Wootton and Dr. Mairs.
The Supreme Court affirmed the district court’s denials of Rule 56(d) relief and subsequent grants of summary judgment. The Court found that Nipper failed to provide specific reasons why she could not present essential facts to oppose the summary judgment motion within the allotted timeframes. Further, the Court concluded that Nipper failed to set forth a satisfactory explanation for why, after two years, such essential evidence was not sought earlier.
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