Wheble v. Eighth Judicial Dist. Court

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Plaintiffs filed a complaint against Defendants, health care practitioners and health care facilities, alleging claims for medical negligence, wrongful death, and statutory abuse and neglect arising from the care of Patient. The district court denied Defendants' motion for summary judgment, and the Supreme Court granted Defendant's petition for writ of mandamus, finding that the court abused its discretion in not granting summary judgment in Defendants' favor because the claims failed to comply with the affidavit requirements of Nev. Rev. Stat. 41A.071. Plaintiffs subsequently filed a new complaint, reasserting the dismissed medical malpractice claims, but the statute of limitations for Plaintiffs' claims had passed. The district court applied Nev. Rev. Stat. 11.500, Nevada's savings statute, to save the time-barred medical malpractice claims. The Supreme Court subsequently granted Defendants' writ for mandamus relief, holding that section 11.500 does not save medical malpractice claims dismissed for failure to comply with section 41A.071 because these claims are void, and section 11.500 applies only to actions that have been "commenced." View "Wheble v. Eighth Judicial Dist. Court" on Justia Law