Sajjadi v. The Rehabilitation Centre of Beverly Hills CA2/3

CourtCalifornia Court of Appeal
DecidedJune 20, 2023
DocketB317554
StatusUnpublished

This text of Sajjadi v. The Rehabilitation Centre of Beverly Hills CA2/3 (Sajjadi v. The Rehabilitation Centre of Beverly Hills CA2/3) is published on Counsel Stack Legal Research, covering California Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Sajjadi v. The Rehabilitation Centre of Beverly Hills CA2/3, (Cal. Ct. App. 2023).

Opinion

Filed 6/20/23 Sajjadi v. The Rehabilitation Centre of Beverly Hills CA2/3

NOT TO BE PUBLISHED IN THE OFFICIAL REPORTS

California Rules of Court, rule 8.1115(a), prohibits courts and parties from citing or relying on opinions not certified for publication or ordered published, except as specified by rule 8.1115(a). This opinion has not been certified for publication or ordered published for purposes of rule 8.1115(a).

IN THE COURT OF APPEAL OF THE STATE OF CALIFORNIA

SECOND APPELLATE DISTRICT

DIVISION THREE

NIMA SAJJADI et al., B317554

Plaintiffs and Respondents, Los Angeles County Super. Ct. No. v. 21STCV24399 THE REHABILITATION CENTRE OF BEVERLY HILLS,

Defendant and Appellant.

APPEAL from an order of the Superior Court of Los Angeles County, Audra M. Mori, Judge. Affirmed. Lewis Brisbois Bisgaard & Smith, Lann G. McIntyre, Daniel R. Velladao, and Kathleen M. Walker for Defendant and Appellant. Gaw | Poe, Randolph Gaw, Mark Poe, and Victor Meng for Plaintiffs and Respondents. _______________________________________ INTRODUCTION

Defendant and appellant The Rehabilitation Centre of Beverly Hills (RCBH), appeals from an order denying its petition to compel arbitration as to the wrongful death claim brought by plaintiffs and respondents Nima Sajjadi, Sima Nobahar, and the Estate of Mahmood Sajjadi (plaintiffs). The trial court ruled that the wrongful death claim was not subject to arbitration because it is primarily based on allegations of elder abuse and thus Code of Civil Procedure1 section 1295 does not apply to bind plaintiffs to the arbitration agreement signed by the decedent, Mahmood Sajjadi.2 We agree and affirm.

FACTS AND PROCEDURAL BACKGROUND

Mahmood is the father of Nima and husband of Nobahar. In March of 2020, Mahmood sustained an injury to his toe that became infected. Although he was treated with antibiotics, his foot became gangrenous and was ultimately amputated at the Cedars-Sinai Medical Center (Cedars-Sinai). Shortly thereafter, Mahmood signed an advanced healthcare directive appointing Nima as his healthcare agent. In August of 2020, Mahmood was admitted to RCBH, a rehabilitation and skilled nursing center. The admissions paperwork included an arbitration agreement, which Mahmood and a representative of RCBH both signed. The agreement stated that an arbitrator would resolve any medical malpractice

1All undesignated statutory references are to the Code of Civil Procedure. 2Because Nima and Mahmood share the same last name, we refer to them by their first names. No disrespect is intended.

2 disputes. It also stated that any dispute between Mahmood and RCBH or any of its employees relating to the provision of care, treatment or services to Mahmood at RCBH, including any action for injury or death arising from negligence, intentional tort and/or statutory causes of action would be determined by arbitration. The agreement further provided that it is binding on all parties, including representatives, executors, family members, and heirs who bring any claims individually or in a representative capacity. On the signature page, there was a statement pursuant to section 1295, subdivision (b), that provided: “NOTICE: By signing this contract you are agreeing to have any issue of medical malpractice decided by neutral arbitration and you are giving up your right to a jury or court trial.” (All caps removed.) In September 2020, Mahmood was transferred to Cedars- Sinai, where doctors diagnosed him with “acute renal failure likely due to dehydration.” Mahmood later developed a Methicillin-resistant Staphylococcus aureus (MRSA) infection. He was transferred again to Cedars-Sinai on September 23 and October 18, and ultimately died of sepsis in December 2020. In June 2021, the plaintiffs filed a lawsuit against RCBH, asserting a wrongful death claim in Nima and Nobahar’s personal capacity and a negligence survivor claim on behalf of the Estate. RCBH moved to compel arbitration based on the agreement signed by Mahmood. Shortly thereafter, the plaintiffs filed an amended complaint, which asserted a new survivor claim for elder abuse in addition to the wrongful death and negligence survivor claims. The amended complaint alleged that Mahmood either acquired the MRSA infection at RCBH or the infection was exacerbated

3 there due to RCBH’s negligent care, that the MRSA infection or remnants of the gangrene infection developed into sepsis, and that, because of the deterioration of his condition due to RCBH’s inadequate care, the sepsis proved fatal. It further alleged that Mahmood’s hospitalization for dehydration shortly after he was admitted “can only be explained by the negligence of RCBH employees, as [keeping a patient properly hydrated] was a shockingly basic task that they did not accomplish.” “Another sign of RCBH’s negligence was that Mahmood’s family was always told that Mahmood was sleeping, despite the fact that his family deliberately called at various times of the day over many days,” which suggested that RCBH’s staff “likely just did not bother to check at all.” The amended complaint also alleged that “RCBH employees failed to provide appropriate medical care on Mahmood (given that they could not even keep him hydrated), which caused him to contract MRSA or exacerbate an existing infection during his stay at their facility.” With respect to the wrongful death and survivor negligence causes of action, the amended complaint alleged that “RCBH breached its duty of care because it provided inadequate care to Mahmood during his stay at its facility, which caused him to develop acute renal failure and also to acquire a MRSA infection (or exacerbate an existing infection).” With respect to the elder abuse cause of action, it alleged that “RCBH’s staff neglected Mahmood’s physical care with reckless indifference by failing to prevent his dehydration” and that its negligence was reckless because “[t]here is no justification why RCBH employees could not prevent its patients from experiencing severe dehydration after less than a month’s stay.” The plaintiffs further alleged that Nima and Nobahar’s inability to get in contact with Mahmood at

4 RCBH, despite calling “at all hours of the day and night,” indicated that “RCBH’s employees simply did not care and did not bother to check on Mahmood” and that “there was systemic indifference at RCBH towards Mahmood that was authorized or ratified by its executives (or at least, took place with their knowledge).” The plaintiffs also opposed the motion to compel arbitration. They contended that RCBH had failed to present evidence that the arbitration agreement was subject to section 1295, which operates to bind a patient’s agreement to arbitrate on his heirs with respect to a wrongful death claim, because it not shown that it was a “health care provider” as defined by the statute. They also argued that they had not signed the arbitration agreement and that their elder abuse claim and wrongful death claim sounding in elder abuse fall outside the scope of section 1295, which only pertains to claims for professional negligence. The trial court held that the wrongful death claim was not subject to arbitration because it sounded in elder abuse and thus did not fall within the ambit of section 1295. The court granted RCBH’s petition to compel arbitration as to the survivor claims and ordered the wrongful death claim stayed.

CONTENTIONS

RCBH argues that the court erred in denying the motion to compel with respect to the wrongful death claim because the arbitration agreement complied with section 1295, RCBH is a licensed health care provider, and the wrongful death claim arose from its alleged professional negligence. The plaintiffs argue that the court correctly concluded that section 1295 does not apply to

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Sajjadi v. The Rehabilitation Centre of Beverly Hills CA2/3, Counsel Stack Legal Research, https://law.counselstack.com/opinion/sajjadi-v-the-rehabilitation-centre-of-beverly-hills-ca23-calctapp-2023.