University of Mississippi Medical Center v. Kim Hampton

227 So. 3d 1138, 2016 WL 5914215
CourtCourt of Appeals of Mississippi
DecidedOctober 11, 2016
DocketNO. 2014-CA-01079-COA
StatusPublished
Cited by3 cases

This text of 227 So. 3d 1138 (University of Mississippi Medical Center v. Kim Hampton) is published on Counsel Stack Legal Research, covering Court of Appeals of Mississippi primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
University of Mississippi Medical Center v. Kim Hampton, 227 So. 3d 1138, 2016 WL 5914215 (Mich. Ct. App. 2016).

Opinions

GREENLEE, J.,

FOR THE COURT:

¶ 1. The University of Mississippi Medical Center (UMC) appeals an adverse judgment stemming from a wrongful-death action brought by Kim Hampton following the death of her son, Kimrick Smith. UMC argues that the trial court erred in denying its pretrial motion for summary judgment. Because Hampton filed her complaint outside of the one-year statute of limitations, and because UMC did not waive its statute-of-limitations defense, we reverse and render a judgment in favor of UMC.;

FACTS AND PROCEEDINGS BELOW

¶2. On October 30, 2010, Smith was stabbed in the torso in Marion County and airlifted to UMC for emergency medical care.. He was released on November 3, 2010. On November 8, 2010, Smith died after suddenly collapsing at home in Marion County. The parties agree that Smith’s death was caused by blood leaking from a heart wound sustained in the stabbing. The heart injury was not discovered during Smith’s treatment at UMC.

¶ 3. On November 11 or 12, 2010, Hampton spoke to the doctor who performed the autopsy, who informed her of the heart wound.1 During this same time period, a lawyer informed Hampton that she could pursue a lawsuit against UMC. The parties agree that November 12, 2010, is the latest possible discovery date by the plaintiff of her cause of action and the start of the one-year statute of limitations.

¶4. UMC received pre-suit notice of Hampton’s wrongful-death claim on November 7, 2011, in accordance with the provisions of Mississippi Code Annotated section 11-46-11 (Rev. 2012). The parties agree that on November 7, 2011, five days remained of the original one-year limitations period. February 10, 2012, marked ninety-five days following UMC’s receipt of notice of the claim. On February 28, 2012, UMC denied Hampton’s claim.

¶5. Hampton filed a pro se complaint on May 29, 2012. The complaint did not allege how or when Hampton became aware of her possible claim against UMC, including the fact that she had a conversation with the doctor who performed the autopsy. UMC’s answer to the complaint pleaded generally as an affirmative defense that “[cjlaims against this defendant are barred by the applicable statute(s) of limitations.”

¶ 6. UMC propounded interrogatories on the same day it filed its answer. Hampton failed to respond and to attend a hearing on -UMC’s motion to compel. The court granted the motion to compel and Hampton submitted responses. Hampton then [1141]*1141failed to appear at three noticed depositions. Following Hampton’s failure to appear at the third scheduled deposition on February 8, 2013, UMC filed a motion to dismiss due to the delay in litigation created by Hampton’s repeated failure to engage in the discovery process. UMC asserted that “[t]he plaintiffs blocking of initial basic discovery has prevented the defendant from evaluating certain affirmative defenses to determine if motions should be made.” Hampton was finally deposed on May 1, 2013. At that deposition, Hampton disclosed her November 10 or 11, 2010 conversation with the doctor who performed the autopsy on Smith. She also discussed that, around that same time, she had talked with an attorney friend, who informed her that she might have grounds for a suit against the hospital.

¶ 7. Following receipt of Hampton’s deposition transcript, UMC moved for summary judgment on May 28, 2013. It asserted that Hampton’s complaint—after accounting for the relevant Mississippi Tort Claims Act (MTCA) tolling periods— was filed fourteen days after the one-year limitations period and therefore barred. Hampton responded that UMC’s affirmative defense had been waived and that it lacked merit. A hearing was held on the motion for summary judgment on June 20, 2013.2 The court took the motion under advisement, and denied the motion the morning of trial without specifying the grounds for denial.3

¶8. After a bench trial, in which the court heard the testimony of various expert -witnesses, the court entered a judgment in favor of Hampton on July 15,2014, in the amount of $500,000, finding that UMC breached its standard of care and that the breach proximately caused or contributed to Smith’s death.

¶ 9. UMC appeals, asserting that it did not waive its valid statute-of-limitations defense. In the alternative, UMC raises various challenges to the plaintiffs experts’ testimony. Because we resolve this case on the basis of UMC’s affirmative defense of the statute of limitations, we do not reach the challenge to the plaintiffs experts’ testimony.

DISCUSSION

¶ 10. Statutory interpretation is a question of law reviewed de novo. Page v. Univ. of S. Miss., 878 So.2d 1003, 1005 (¶4) (Miss. 2004). The discovery rule is applicable to wrongful-death actions brought under the MTCA. Caves v. Yarbrough, 991 So.2d 142, 146 (¶13) (Miss. 2008). “[T]he limitations period' for MTCA claims does not begin to run until all the elements of a tort exist, and the claimant knows or, in the exercise of reasonable diligence, should know of both the injury and the act or omission which caused it.” Id. at 155 (¶53). “Waiver is a matter of law where the material facts and circumstances are undisputed or clearly established.” Bott v. J.F. Shea Co., 388 F.3d 530, 534 (5th Cir. 2004) (quoting First Interstate Bank of [1142]*1142Ariz. v. Interfund Corp., 924 F.2d 588, 595 (5th Cir. 1991)). Whether a delay is unreasonable will be determined on a case-by-case basis, MS Credit Ctr. v. Horton, 926 So.2d 167, 181 (¶45) (Miss. 2006).

I. Hampton filed her complaint outside of the statute of limitations.

¶ 11. The parties agree that the discovery date and start of Hampton’s one-year limitations period was at the latest November 12, 2010. The parties dispute whether the final ninety-day period to file provided in section 11-46-11(3) (combined with the remaining five days of the original one-year statute of limitations) begán running on February 10, 2012, at the expiration of the ninety-five-day tolling period following UMC’s receipt of notice of the claim, or on February 28, 2012, upon UMC’s denial of Hampton’s claim.

¶ 3.2. Prior to 2012, section 11-46-11(3) provided in relevant part:

.All actions brought under the provisions of this chapter shall be commenced .within one (1) year next after the date of the tortious, wrongful or otherwise actionable conduct on which the liability phase, of the action is based, and not after; provided, however, that the filing of. a notice of claim as required by subsection (1) of this section shall serve to toll the statute of limitations for a period of ninety-five (95) days from the date the chief executive officer of the state agency receives the notice of claim ... during which time no action may be maintained by the claimant unless the claimant has received a notice of denial of claim. After the tolling period has expired, the claimant shall then have an additional ninety (90) days to file any action against the governmental entity served with proper claim notice.

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Cite This Page — Counsel Stack

Bluebook (online)
227 So. 3d 1138, 2016 WL 5914215, Counsel Stack Legal Research, https://law.counselstack.com/opinion/university-of-mississippi-medical-center-v-kim-hampton-missctapp-2016.