Ruiz v. Killebrew
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The Supreme Court affirmed the judgment of the district court granting summary judgment for Defendants, a hospital and a midwife, holding that Plaintiff failed to produce expert evidence that created a genuine dispute of material fact as to the causation element of her medical malpractice claim.
Thirteen years after her baby sustained brain damage during delivery, Plaintiff, as parent and natural guardian of her minor child, sued Defendants, alleging that the hospital's labor-and-delivery nurses and the midwife inadequately monitored Plaintiff's labor, which resulted in the child's hypoxic brain injury. The district court granted partial summary judgment for Defendants dismissing Plaintiff's claims for premajority medical expenses and then later dismissed Plaintiff's remaining negligence claims. The Supreme Court affirmed, holding that the district court properly found that Plaintiff failed to provide evidence that would establish the necessary causal link between the alleged breaches in standard of care and the supposed injury to the child.
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