In Hannon v. Mercy Med. Ctr., Inc., the plaintiffs, surviving sons of the deceased, filed a medical malpractice claim on their own behalf and on behalf of their father’s estate, alleging that the doctor and hospital that treated the deceased failed to adhere to the standard of care required of medical professionals in Maryland.
Medical malpractice claims are rooted in the theory of negligence. Negligence refers to the failure of an individual or entity to use the level of care and caution an ordinary person would use in the same or similar circumstances. That failure to use the appropriate level of care and caution must result in harm in order for negligence to be established. In the context of medical malpractice, medical negligence refers to the failure of a health care provider to use the level of care that another health care provider in the same specialty would use in the same situation. For example, a nurse’s conduct would be compared to another nurse’s conduct in the same situation.
After the plaintiffs’ repeated failures to comply with discovery requests and their supposed lack of cooperation with their lawyers in handling the case, the attorneys communicated their intent to withdraw as counsel as permitted under Maryland Rule 2-132(b). This took place three months prior to trial. The court granted the lawyers’ request to withdraw.
Published by Arfaa Law Group

