Moore v. Mount Carmel Health System
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In this medical malpractice action, the Supreme Court reversed the judgment of the court of appeals reversing the trial court's grant of summary judgment in favor of Defendants, holding that Plaintiff could not rely on the savings statute when he filed this action just before the expiration of the statute of limitations but did not obtain service within one year or dismiss the action during that period.
Although Plaintiff had initially filed this lawsuit within the limitations period, he neither obtained service on Dr. Eric Humphreys within one year, nor did he dismiss his lawsuit during that time. As a consequence, the trial court ruled that Dr. Humphreys was dismissed with prejudice from the lawsuit because Plaintiff's claims against him were time barred. Concluding that the remaining defendants could only be vicariously liable, the court found that any liability of those parties was extinguished. The court of appeals reversed, holding that the savings statute applied to Plaintiff's claim against Dr. Humphreys. The Supreme Court reversed, holding that because there was neither a dismissal otherwise than on the merits nor the filing of a new action, the savings statute did not apply, and Plaintiff's claim was barred by the statute of limitations.
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