DeBoer v. Sr. Bridges of Sparks Fam. Hosp.

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The issue before the Supreme Court centered on the duty of care owed by a medical facility when performing nonmedical functions. The Court took the opportunity of this case to recognize that when a medical facility performs a nonmedical function, general negligence standards apply, such that the medical facility has a duty to exercise reasonable care to avoid foreseeable harm as a result of its actions. Here, the complaint alleged that appellant, a cognitively impaired patient who required a guardian to make medical and financial decisions for her, was exploited by a third party after a social worker employed by the respondent medical facility provided the third party with a preprinted general power-of-attorney form, which the patient subsequently executed in furtherance of her discharge from the facility. The manner in which the medical facility allegedly discharged the patient could lead a reasonable jury to find that the patient's financial injuries were a foreseeable result of the facility's conduct. Thus, the Supreme Court found that district court erred when it found that the medical facility owed the patient no duty beyond the duty to provide competent medical care and dismissed the complaint for failure to state a claim. Accordingly, the Supreme Court reversed the order dismissing this action and remanded this case to the district court for further proceedings. View "DeBoer v. Sr. Bridges of Sparks Fam. Hosp." on Justia Law