Brad Woehrle filed a medical malpractice lawsuit against Dr. Lawrence M. Buono and Dr. James A. Brady, alleging that a surgical procedure resulted in permanent vision loss in his left eye. The case stemmed from an orbital biopsy performed by one or both doctors. The key issue was whether Buono acted as the primary surgeon or merely assisted Brady.
Buono testified that he only assisted in the procedure, while Brady claimed that Buono performed the biopsy. Additionally, Brady later edited the operative report, but there was no evidence that the edit was made to evade liability.
The defendants moved for summary judgment, seeking dismissal of the claims. The trial court granted their motions, dismissing the medical malpractice claim against Buono and rejecting punitive damages claims against both defendants. Woehrle appealed the ruling.
The New York Appellate Division modified the lower court’s decision, reinstating the medical malpractice claim against Buono while affirming the dismissal of punitive damages claims against both doctors. The court ruled:
Since the defense did not eliminate all triable issues of fact, the court ruled that a jury should determine whether Buono committed malpractice.
This ruling highlights key principles in medical malpractice litigation:
The New York Appellate Division’s decision allows the medical malpractice claim against Buono to proceed to trial, reinforcing the importance of factual clarity in medical negligence cases. The ruling also reaffirms the high standard required for punitive damages in malpractice litigation.
If you need legal assistance with a medical malpractice claim, including issues related to surgical errors or professional negligence, contact us for experienced representation.