Cerebral Palsy Complants (3/3)
Tuesday, June 24th, 200831. Defendants, _____________, directly and through its
actual and apparent agents, servants and/or employees, including, but not limited to the nurses and house officer who cared for the minor Plaintiff, violated their duty and were negligent in the following ways, among others:
A. They failed to properly assess the condition of the infant; B. They failed to recognize and appreciate the signs and (more…)
Cerebral Palsy Complant (2/3)
Tuesday, June 24th, 2008rate was in the 160’s and his respiratory rate was in the 80’s. _____________’s extremities were rigid and he was grunting on respiration. Despite these findings, no physician was called to evaluate _____________ at this time, thus no medical evaluation was done and no diagnostic studies were ordered.
16. At 9:00 a.m., _____________ was noted to continue to cry inconsolably.
Defendant Dr. _____________ was updated concerning _____________’s condition but simply ordered saline drops for congestion instead of any diagnostic studies.
17. Dr. _____________ circumcised _____________ at about 9:30 a.m. Thereafter, Dr.
_____________ performed a discharge examination of _____________, determined he had a normal exam and wrote orders for _____________ to be discharged at 48 hours of age. (more…)
Cerebral Palsy Complant (1/3)
Tuesday, June 24th, 2008IN THE COURT OF COMMON PLEAS
MIAMI COUNTY, OHIO
_____________ a minor *
by his parents and next friends
_____________ *
* COMPLAINT
and *
_____________ *
*
and *
_____________, Individually * JURY DEMAND ENDORSED
* (more…)
Cerebral Palsy Mississippi Complaint (4/4)
Friday, March 7th, 2008D. NEGLIGENCE
(ON BEHALF OF _____________)
28. Plaintiffs incorporate herein by reference thereto the averments contained in paragraphs 1-27 as though same were fully set forth herein. (more…)
Cerebral Palsy Mississippi Complaint (3/4)
Friday, March 7th, 2008C. NEGLIGENCE
(ON BEHALF OF _____________)
20. Plaintiffs incorporate herein by reference thereto the averments contained in paragraphs 1-19 as though same were fully set forth herein. (more…)
Cerebral Palsy Mississippi complaint (2/4)
Friday, March 7th, 2008B. STATEMENT OF FACTS GIVING RISE
TO PLAINTIFFS’ CAUSE OF ACTION
8. Sometime during the month of September and/or October _____________ became pregnant with her first child, _____________, with an estimated delivery date of ___________________ (more…)
Cerebral Palsy Mississippi complaint (1/4)
Friday, March 7th, 2008IN THE CIRCUIT COURT OF LEE COUNTY, MISSISSIPPI
_____________, a minor, PLAINTIFFS
by her Guardian ad litem,
_____________ and
_____________, individually
v. Cause No.:
DEFENDANTS
_____________, and
Cerebral Palsy (cp) complaint from Texas (3/3)
Saturday, February 2nd, 2008NEGLIGENCE
34. Defendants, directly and through their actual and apparent agents, servants and employees, are guilty of the following acts of omission, each of the acts alone or in combination were the proximate cause of _________________’s severe and permanent neurological impairment and damages resulting therefrom. Specifically, Defendant _________________’s, negligent acts are as follows: (more…)
Cerebral Palsy (cp) complaint from Texas (2/3)
Saturday, February 2nd, 200815. _________________ was then notified of the variables at 1343. The nurses administered oxygen and repositioned _________________ on her left side apparently in an effort to improve the tracing.
16. Nonetheless, the variable decelerations reoccurred until 1507 when _________________ labor had progressed to 9cm and zero station. (more…)
Cerebral Palsy (cp) complaint from Texas (1/3)
Saturday, February 2nd, 2008CAUSE NO.
_________________ and * IN THE DISTRICT COURT OF
____________________
Individually, and as next friends of * LUBBOCK COUNTY, TEXAS
_________________, a minor child
* 99th JUDICIAL DISTRICT
Plaintiffs
*
v.
*
_________________
*
and
*
_________________
and
_________________
d/b/a __________________
_______________________ *
Defendants *
* * * * * * * * * * * * * (more…)