Delashaw v. Seattle Times Company

District Court, W.D. Washington·Decided July 14, 2020·No. 2:18-cv-00537·Unknown

Opinion

VASE 0°CVUUDOI-LIN, Document LOU *SEALED* Filed 06/11/20 Page 1 of 78

1 2 2 4 a 6 UNITED STATES DISTRICT COURT 8 WESTERN DISTRICT OF WASHINGTON AT SEATTLE 9 10 JOHNNY DELASHAW, JR., CASE NO. C18-0537JLR 1] Plaintiff, ORDER ON DEFENDANTS’ Vv. MOTIONS FOR SUMMARY 12 JUDGMENT 13 SEATTLE TIMES COMPANY, et (PROVISIONALLY FILED al., UNDER SEAL) Defendants. 15 I. INTRODUCTION 16 Before the court are (1) Defendant Seattle Times Company’s (“Seattle Times” or 17 “the Times”) motion for partial summary judgment (Times MSJ (Dkt. ## 109 (sealed); 18 156 (redacted))); and (2) Defendant Charles Cobbs’ motion for partial summary 19 judgment (Cobbs MSJ (Dkt. # 116)). Plaintiff Johnny Delashaw, Jr. opposes the motions. 20 (See Times MSJ Resp. (Dkt. # 123); Cobbs MSJ Resp. (Dkt. # 140).) The court has 21 considered the motions, the parties’ submissions in support of and in opposition to the 22

ORDER - 1

Cas€ 4.10-CV-UU05/-JLIK Document 160 *SEALED* Filed 06/11/20 Page 2 of 78

1 || motions, and the applicable law. Being fully advised, the court GRANTS in part and 2 || DENIES in part both motions. ! 3 Il. BACKGROUND Dr. Delashaw 5 Dr. Delashaw received his medical degree from the University of Washington. 6 || (Delashaw Decl. (Dkt. # 126) 2.) Dr. Delashaw spent 20 years as a practicing 7 ||neurosurgeon at Oregon Health & Science University (“OHSU”) before leaving to 8 || become a professor and the Chairman of Neurological Surgery at University of 9 || California, Irvine (“UC Irvine”). (/d.) Dr. Delashaw left UCI for a position at Swedish 10 || Medical Center (“Swedish”) in 2013 and remained employed at Swedish’s Cherry Hill 11 |} campus in Seattle, Washington (hereinafter, “Cherry Hill” or “Swedish Cherry Hill”) 12 || until 2017. (/d.) Most recently, he was the Chairman of Neurosurgery and Spine at the 13 || Swedish Neuroscience Institute (“SNI°”’). (/d.) 14 |/B. Internal Strife at SNI 15 Dr. Delashaw’s arrival at Swedish Cherry Hill, promotion to Chairman of 16 || Neurosurgery and Spine at SNI, and management tactics at SNI caused a considerable 17 amount of turmoil at SNI. In January 2014, Dr. Frances Broyles, the Medical Director of 18 || Neuroendocrinology at Swedish, wrote a letter to Swedish’s CEO, Anthony Armada. 19 || (See Ist Baer Decl. (Dkt. # 117) 4 3, Ex. 4 at SWE_005725.) Dr. Broyles voiced his 20 21 ' No party requests oral argument (see Times Not. (Dkt. # 148) (withdrawing the Times’ request for oral argument); Cobbs MSJ at 1; Times MSJ Resp. at 1; Cobbs MSJ Resp. at 1), and the court finds oral argument unnecessary to its disposition of the motions, see Local Rules W.D. Wash. LCR 7(b)(4).

ORDER - 2

Case 2:18-cv-00537-JLR Document 160 *SEALED* Filed 06/11/20 Page 3 of 78

1 || “extreme concern over the nuclear disruption of SNI by Dr. Delashaw” and alleged that 2 Dr. Delashaw “has offended virtually every doctor at SNI, has bad mouthed SNI 3 || physicians, and attempted to steal patients.” (See id.) In July 2014, Dr. Marc Mayberg, 4 || one of the co-founders of SNI, accused Dr. Delashaw of falsely informing other 5 || physicians that Dr. Mayberg was “terminally ill with cancer and stopping practice” when 6 || Dr. Delashaw knew that Dr. Mayberg was practicing without limitation. (See id. § 3, Ex. 7 ||5 at 000047.) Dr. Mayberg also claimed that Dr. Delashaw had made “[n]on-collegial 8 || and derogatory comments” about Dr. Mayberg’s medical recommendations to patients 9 || that Dr. Mayberg had referred to Dr. Delashaw. (See id.) In December 2014, Mary 10 || Fearon, the Director of Perioperative Services at Swedish, informed a Swedish 11 || administrator that Dr. Delashaw “has not helped the [operating room] nursing staff in any 12 || capacity this year” and that she did not believe he should be promoted because: 13 e □ He lies. e He does not practice within the culture of safety—{h]Je is 14 degrading to the nurses in the room. When a nurse asks for him to spell the name of a specimen he sighs heavily and uses a 15 condescending voice to spell out the name of the specimen. The nurses fear him and he uses power to make sure they do not 16 challenge him. e a dictatorial leadership style[.] 17 e [would not put myself at risk as the Director of surgery with his 18 decision making and risk taking behavior. (See id. § 3, Ex. 6 at SWE_005780.) 19 By January 2015, roughly 16 months after SNI hired Dr. Delashaw, SNI had 20 received 32 Quality Variance Reports (“QVR”) and 17 behavior reports about Dr. 21 Delashaw—a number that Swedish’s 30(b)(6) deponent testified seemed “high.” (See Ist 22

ORDER - 3

Case 4:10-CV-U093S/-JLR Document 160 *SEALED* Filed 06/11/20 Page 4 of 78

1 || Baer Decl. § 3, Ex. 1 (“Swedish 30(b)(6) Dep.”) at 124:25-125:8.) At that time, the chair 2 the Surgery Quality Review Committee and vice-chair of the Department of Surgery at 3 || Swedish, Dr. Eric Vallieres, resigned from those positions when Swedish announced Dr. 4 || Delashaw’s promotion to Chairman of Neurosurgery and Spine. (See id. 3, Ex. 2 at 5 || ST_0014197-99.*) Dr. Vallieres pointed to the high volume of complaints against Dr. 6 || Delashaw and stated that he “cannot continue as the [c]hair of a [c]ommittee that is to 7 || oversee the 360 degree quality of care delivery in the Swedish surgical world when my 8 || administration promotes an individual that has shown very little respect for the Culture of 9 || Safety and related processes.” (/d. at ST_0014197.) 10 The complaints and concerns continued to roll in. In July 2015, Dr. Peggy 11 || Hutchison, Swedish’s Chief of Staff, wrote that she had spoken with at least five 12 || physicians who were unhappy with Dr. Delashaw but were “scared of retaliation” and did 13 || not know where to turn for help. (See 1st Baer Decl. 3, Ex. 7.) In August 2015, Dr. 14 || David Newell, another co-founder of SNI, informed Dr. Hutchison that a number of his 15 || colleagues had expressed to him that Dr. Delashaw’s leadership had created “an 16 || atmosphere of fear and intimidation, lack of collegiality, as well as interference with 17 || individual practices resulting in interference with referral patterns, and also quality of 18 || care issues.” (See id. § 3, Ex. 8 at NEWELL _SDT_004053.) Dr. Newell also detailed 19 |} // 20 2 Dr. Vallieres’ letter states that SNI promoted Dr. Delashaw to “Chief of Neurosurgery” » as opposed to “Chairman of Neurosurgery and Spine,” which iS the terminology that Dr. Delashaw uses in his declaration to describe his promotion. (See id.; Delashaw Decl. § 2.)

ORDER - 4

Case 2:16-CV-U053/-JLR Document 160 *SEFALED* Filed 06/11/20 Page 5 of 78

1 || several specific examples of Dr. Delashaw’s conduct in support of his accusations. (See 2 at NEWELL SDT_004053-55.) 3 In addition to the internal complaints about Dr. Delashaw circulated at Swedish, at 4 || least two individuals filed anonymous complaints with the Washington Department of 5 || Health (“DOH”) in early 2016. In January 2016, an anonymous whistleblower filed a 6 || complaint with DOH noting that there had been numerous internal complaints filed 7 || within Swedish about “quality issues related to the neurosurgical service” at Swedish’s 8 || Cherry Hill campus, where Dr. Delashaw worked. (See id. § 3, Ex. 12 at 9 || JDEL_026824-26.) The whistleblower claimed that the “[a]llegations include 10 || inappropriate surgeries, increase in complications and infection rates, unsupervised 11 || surgery and critical care by neurosurgical fellows, and abuse of surgical staffing and 12 || scheduling protocols to facilitate surgeons[’] convenience.” (Jd. at JDEL_026826.) The 13 || complaint also listed 15 providers who had either left or were fired from Swedish as a 14 || result of Swedish’s response to these internal complaints. (Jd. at JDEL_026826-27.) 15 In March 2016, another anonymous whistleblower filed a complaint against Dr.

Free access — add to your briefcase to read the full text and ask questions with AI

Delashaw v. Seattle Times Company, (W.D. Wash. 2020).

Delashaw v. Seattle Times Company (Delashaw v. Seattle Times Company) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

Peter Scalamandre & Sons, Inc. v. Kaufman
113 F.3d 556 (Fifth Circuit, 1997)
Green v. CBS Inc.
286 F.3d 281 (Fifth Circuit, 2002)
Garrison v. Louisiana
379 U.S. 64 (Supreme Court, 1964)
United States v. Utah Construction & Mining Co.
384 U.S. 394 (Supreme Court, 1966)
Anderson v. Liberty Lobby, Inc.
477 U.S. 242 (Supreme Court, 1986)
University of Tennessee v. Elliott
478 U.S. 788 (Supreme Court, 1986)
New Hampshire v. Maine
532 U.S. 742 (Supreme Court, 2001)
Gonzaga University v. Doe
536 U.S. 273 (Supreme Court, 2002)
Taylor v. Sturgell
553 U.S. 880 (Supreme Court, 2008)
William Janklow v. Newsweek, Inc.
759 F.2d 644 (Eighth Circuit, 1985)
Phoenix Trading, Inc. v. Loops LLC
732 F.3d 936 (Ninth Circuit, 2013)
Standlee v. Smith
518 P.2d 721 (Washington Supreme Court, 1974)
Stidham v. Department of Licensing
637 P.2d 970 (Court of Appeals of Washington, 1981)
Dang v. Ehredt
977 P.2d 29 (Court of Appeals of Washington, 1999)
Mark v. Seattle Times
635 P.2d 1081 (Washington Supreme Court, 1981)
Moe v. Wise
989 P.2d 1148 (Court of Appeals of Washington, 1999)
Gardner v. Martino
563 F.3d 981 (Ninth Circuit, 2009)
Herron v. KING Broadcasting Co.
746 P.2d 295 (Washington Supreme Court, 1987)