Copsey v. Park

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Evidence of non-party negligence was properly admitted in this case. Petitioners alleged that John S. Park, M.D. was negligent when he interpreted radiological images, leading to Lance Copsey’s fatal stroke. Petitioners originally sued Dr. Park and three subsequent treating physicians but partially settled their claims and dismissed the subsequent treating physicians. The jury returned a verdict in favor of Dr. Park. On appeal, Petitioners argued that the trial court abused its discretion in denying their motions in limine opposing the admission of evidence regarding the non-parties’ statuses as former defendants and Dr. Park’s defense that the negligence of the subsequent treating physicians was an intervening and superseding cause of Copsey’s death. The Court of Special Appeals affirmed, concluding that the motions in limine were properly denied because Martinez ex rel. Fielding v. Johns Hopkins Hops, 70 A.3d 397 (2013) permits the introduction into evidence of non-party negligence and causation. The Court of Appeals affirmed, holding (1) evidence of non-party negligence was relevant and necessary in providing Dr. Park a fair trial; and (2) causation was an issue for the trier of fact, and the evidence tended to show that Dr. Park was not negligent and that other independent causes contributed to Copsey’s death. View "Copsey v. Park" on Justia Law