Krusac v. Covenant Medical Center, Inc.

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John Krusac, as personal representative of the estate of Dorothy Krusac, brought a medical malpractice action against Covenant Medical Center, Inc., alleging that Dorothy Krusac died as a result of injuries she sustained when she rolled off an operating table following a cardiac catheterization procedure. During discovery, it became known that one of the medical staff present during the procedure had filled out an incident report shortly after the event and submitted it to her supervisor. Plaintiff filed a motion in limine on the eve of trial, asking the court to conduct an in camera inspection of the incident report and provide plaintiff with the facts contained in it. On plaintiff’s motion for reconsideration, however, the court reviewed the report in camera and subsequently ordered defendant to provide plaintiff with a portion of the incident report that contained only objective facts in light of "Harrison v Munson Healthcare, Inc," (304 Mich App 1 (2014)), which held that the peer-review privilege did not apply to objective facts contained in an incident report. Defendant sought leave to appeal the order in the Court of Appeals and moved to stay the proceedings, both of which motions the Court of Appeals denied. After its review, the Supreme Court held that the applicable statutory authority that governed this case did not contain an exception to the peer review privilege for objective facts. As a result, that portion of "Harrison" was wrongly decided. Here, the trial court erred by relying on Harrison to order production of the objective-facts portion of the incident report. Therefore, the Supreme Court vacated the trial court’s order and remanded for further proceedings. View "Krusac v. Covenant Medical Center, Inc." on Justia Law