Spangler v. McQuitty

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In McQuitty I, Dylan McQuitty, by and through his parents, successfully sued Ms. McQuitty's physician and his practice (collectively, Spangler) for having failed to obtain Ms. McQuitty's informed consent to treatment, which resulted in severe injuries to Dylan during his birth. In a series of post-trial motions following McQuitty I, Spangler moved to reduce the verdict in favor of the McQuittys. After the verdict but prior to resolution of the post-trial motions, Dylan died. The circuit court found that Dylan's death did not absolve the portion of the judgment allocated to Dylan's future medical expenses. The Court of Appeals held (1) the trial court properly denied Spangler's motions for post-trial relief; (2) the post-verdict death of Dylan did not absolve Spangler from the finality of the jury's award of future medical expenses; (3) the hospital, for which summary judgment was entered in its favor as to liability and damages during McQuitty I, was not a joint tort-feasor under Maryland's Uniform Contribution Among Tort-Feasors Act, such that its settlement release from the McQuittys did not entitle Spangler to a reduction of the judgment against them; and (4) post-judgment interest on the verdict accrued from the date of the original judgment.