![]() |
||||||||||||||||||
|
|
Mark Hodges and Lynda
Carter represented a hospital, which was one of four defendants, in
Pike County Circuit Court against a claim of medical negligence. The plaintiff
claimed that, due to the negligence of the defendant in the delivery of
her child, the child developed cerebral palsy and was otherwise permanently
injured. The trial court granted Mr. Hodges’ and Mrs. Carter’s
motion to dismiss the hospital from the suit due to the plaintiffs’
failure to timely file their notice of claim within the one-year statute
of limitations mandated by the Mississippi Tort Claims Act. Accordingly,
the central issue on appeal was whether the trial court was correct in
dismissing the hospital from the suit. Relying on the “discovery
rule”, the plaintiffs claimed that they filed a notice of claim
within one year after they discovered the facts upon which their negligence
claim was based. Therefore, argued the plaintiffs, the statute of limitations
was tolled by the discovery rule. However, the Supreme Court of Mississippi
held that the trial court was correct in granting Mr. Hodges’ and
Mrs. Carter’s motion to dismiss Southwest from the lawsuit. The
court reasoned that the discovery rule did not toll the statute of limitations
in that the plaintiff failed to exercise reasonable diligence in discovering
the facts that formed the basis of the claim.
|
|
||||||||||||||||
![]() |
||||||||||||||||||