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CLARICE TABB, INDIVIDUALLY AND AS NEXT FRIEND OF DYLAN TABB, A MINOR vs FLORIDA BIRTH-RELATED NEUROLOGICAL INJURY COMPENSATION ASSOCIATION, 02-003277N (2002)

Court: Division of Administrative Hearings, Florida Number: 02-003277N Visitors: 70
Petitioner: CLARICE TABB, INDIVIDUALLY AND AS NEXT FRIEND OF DYLAN TABB, A MINOR
Respondent: FLORIDA BIRTH-RELATED NEUROLOGICAL INJURY COMPENSATION ASSOCIATION
Judges: WILLIAM J. KENDRICK
Agency: Florida Birth-Related Neurological Injury Compensation Association
Locations: Jacksonville, Florida
Filed: Aug. 19, 2002
Status: Closed
DOAH Final Order on Monday, November 1, 2004.

Latest Update: Nov. 09, 2004
Summary: Whether Dylan Tabb, a minor, qualifies for coverage under the Florida-Birth Related Neurological Injury Compensation Plan (Plan) and, if so, the amount of compensation that should be awarded. Whether the notice provisions of the Plan were satisfied by the participating physician and the hospital.Claim was compensable; however, physician did not comply with notice provisions of the plan.
02-3277Amend to FO on Remand

STATE OF FLORIDA

DIVISION OF ADMINISTRATIVE HEARINGS


CLARICE TABB (Mother), )

individually and as next friend ) of DYLAN TABB, a minor, )

)

Petitioner, )

)

vs. )

)

FLORIDA BIRTH-RELATED )

NEUROLOGICAL INJURY )

COMPENSATION ASSOCIATION, )

)

Respondent, )

)

and )

) GRACE M. VALENTE, M.D. and ) MEMORIAL HEALTHCARE GROUP, ) INC., d/b/a MEMORIAL HOSPITAL ) JACKSONVILLE, )

)

Intervenors. )


Case No. 02-3277N

)


AMENDMENT TO FINAL ORDER FOLLOWING REMAND


The Final Order entered in the above-styled case on July 17, 2003, was appealed to the District Court of Appeal, First District, State of Florida.

By Opinion of August 30, 2004, the court concluded that the administrative law judge (ALJ) erred when he determined that Memorial Hospital's evidence of a routine practice of providing the NICA brochure to patients at pre-registration, supported a rebuttable presumption that the routine was followed in this

case. Rather, the court concluded "such evidence will support only an inference by the ALJ that the practice was followed when [Ms.] Tabb pre-registered." Consequently, the court reversed the decision of the ALJ, and remanded with directions that "[o]n remand, the ALJ, affording Memorial's evidence the proper weight, should make a new determination on the question of notice." Subsequently, the Mandate issued commanding that further proceedings be had in accordance with the Opinion of the court.

In accordance with the court's Opinion and Mandate, it is ORDERED that:

  1. Paragraph 9 of the Final Order is vacated, and the following paragraph is adopted in its stead:

    9. With regard to the notice issue, Ms. Tabb contends the participating physician and hospital failed to provide her with a copy of the NICA brochure, and thereby failed to comply with the notice provisions of the Plan. In contrast, the health care providers contend they had a routine practice to provide their obstetrical patients with a copy of the NICA brochure (in the case of the participating physician, at the time of the patient's initial visit, and in the case of the hospital, at the time of pre- registration) and that, given such practice, it must be resolved that, more likely than not, Ms. Tabb was provided a copy of the NICA brochure and the notice provisions of the Plan were satisfied. See Lumberman Mutual Casualty Company v. Alvarez, 443 So. 2d 279,

    281 (Fla. 3d DCA 1983)("While . . . [defendant's proof] as to the routine practice establishes no presumption that it was followed in a particular instance, it is nonetheless sufficient to support an

    inference by the trier of fact that the practice was followed on the particular occasion in question notwithstanding that [the plaintiff's] testimony directly contradicts such an inference.")


  2. Paragraph 11 of the Final Order is vacated, and the following paragraphs, numbered 11A, 11B, and 11C, are adopted in its stead:

    11A. As for Memorial Hospital and the notice issue, it is resolved that on September 20, 2001, when Ms. Tabb presented to Memorial Hospital for pre-registration, the hospital had an established routine whereby the registration clerk would provide the prospective patient with a preadmission packet, which customarily included nine documents: (1) a "Maternity Pre-Admission Form"; (2) a form that was variously described in this proceeding as the "Date of Preadmission" form, the "yellow preadmission" form, and the "birth certificate" form, hereinafter referred to as the "birth certificate form," which was white at the time, but later changed to bright yellow; (3) a "Patient Rights and Responsibilities" notice; (4) a brochure titled "What You Should Know About Receiving A Blood Transfusion"; (5) a brochure titled "Advance Directives," which was baby blue at the time, but later changed to white; (6) a brochure titled "Reduce the Risk of Sudden Infant Death Syndrome (SID)"; (7) a copy of "New Parent Magazine"; (8) a NICA brochure; and

    (9) a business reply envelope for the patient to mail the Maternity Pre-Admission Form back to the hospital, if they so elected.1 (Hospital Exhibits 2, 3, 4, and 5)

    Generally, the Maternity Pre-Admission Form and the birth certificate form were placed on the outside of the packet, and the seven other documents were placed in an inside pocket, at the back of the packet. At the time, Memorial Hospital did not have pre-

    registrants sign a form acknowledging receipt of the NICA brochure or otherwise document the delivery of the brochure.


    11B. At hearing, Ms. Tabb acknowledged having received the pre-admission packet when she presented mid-afternoon, September 20, 2001, and recalled receiving five of the nine documents that were customarily included with the packet (the Maternity Pre-Admission Form, the Patient Rights and Responsibilities notice, the What You Should Know About Receiving a Blood Transfusion brochure, the Reduce the Risk of Sudden Infant Death (SID) brochure, and a copy of New Parent Magazine). As for three of the remaining four documents customarily included in the packet, and shown to her at hearing (the envelope, the birth certificate form, and the Advance Directives brochure), Ms. Tabb did not recall receiving them. Notably, however, Ms. Tabb elected to fill out the Maternity Pre-Admission Form at the hospital, so she had no use for the envelope, and its presence was insignificant; the birth certificate form shown to her at hearing was bright yellow, as opposed to the white form she would have received with the packet; and the Advance Directives brochure shown to her at hearing was white, as opposed to the baby blue form she would have received with the packet, and likely of a different format.2 Consequently, Ms. Tabb's failure to recall these documents does not reflect adversely on her recall of pre-registration or the contents of the pre- registration packet. Finally, as for the last form customarily included in the packet, the NICA brochure, Ms. Tabb was confident she did not receive it.3

    11C. In addition to denying receipt of the NICA brochure, Petitioner offered other proof which cast doubt on whether one could reliably conclude that the hospital's practice to include a NICA brochure in the pre-admission packet was followed in this instance. In this regard, the proof

    demonstrated that the pre-registration packets were assembled, at various times, by either of two clerks employed in the registration office at the Women's Center, as well as either of two auxiliary workers, but little appears of record regarding their training and experience, or the procedures they followed.4 Moreover, the record reveals the clerks were never trained "to know what the NICA program was and what it meant," and there is no reason to believe the significance of the NICA brochure was ever explained to them.5 Consequently, although instructed to include a NICA brochure in the pre-registration packet, it is doubtful the clerks or auxiliary workers would have accorded the NICA brochure any particular significance or considered an occasional lack of NICA brochures to be a significant event. Also of note, prior to Ms. Tabb's pre- registration, the hospital's last request for copies of the NICA brochure was in July 1997, when NICA provided 1,000 copies.6 Therefore, by September 2001, when Ms. Tabb pre- registered, and most likely well before that, the hospital had exhausted its stock of color brochures, and was providing black and white copies made, when requested by a registration clerk, in the hospital's print shop. The hospital's failure to maintain a supply of the color brochures raises the likelihood that there were occasions when the brochure was not available or not provided. Finally, also casting doubt on the importance accorded the brochure is the fact that apart from pre- registrants or patients who elected to tour the facility, no other maternity patients (i.e., those who only presented to the registration office for admission to labor and delivery) were provided a copy of the brochure, although NICA had previously advised the hospital of the need to give all obstetrical patients a copy of the brochure before an infant's birth, and no patient, including pre-registrants, were asked to sign a form acknowledging receipt of the NICA brochure, although NICA had previously

    advised the hospital of the importance of such a procedure. Accordingly, under the facts of this case, the proof fails to permit a conclusion to be drawn, with any sense of confidence, that, more likely than not,

    Ms. Tabb was provided a copy of the NICA brochure when she pre-registered.


  3. Paragraph 20 of the Final Order is vacated, and the following paragraph is adopted in its stead:

    20. While Dylan qualifies for coverage under the Plan, Petitioners have sought to avoid the health care providers' attempt to invoke the Plan as Petitioners' exclusive remedy by averring that the participating physician and hospital failed to comply with the notice provisions of the Plan. Consequently, it was necessary for the administrative law judge to resolve whether, as alleged by the health care providers, appropriate notice was given. O'Leary v. Florida Birth-Related Neurological Injury Compensation Plan, supra. As the proponent of such issue, the burden rested on the health care providers to demonstrate, more likely than not, that the notice provisions of the Plan were satisfied. See Galen of Florida, Inc. v. Braniff, 696 So. 2d 308, 311 (Fla. 1997)("[T]he assertion of NICA exclusivity is an affirmative defense."); Id., at page 309 ("[A]s a condition precedent to invoking the Florida Birth-Related Neurological Injury Compensation Plan as a patient's exclusive remedy, health care providers must, when practicable, give their obstetrical patients notice of their participation in the plan a reasonable time prior to delivery."); Balino v. Department of Health and Rehabilitative Services, supra, ("[T]he burden of proof, apart from statute, is on the party asserting the affirmative issue before an administrative tribunal.") Here, for reasons appearing in the Findings of Fact, Memorial Hospital and Dr. Valente failed to demonstrate that they complied with the notice provisions of the Plan.


  4. The provision in the Conclusion of the Final Order that reads "It is FURTHER ORDERED that Memorial Hospital complied with the notice provisions of the Plan, but Dr. Valente (the participating physician) did not" is vacated, and the following provision is substituted in its stead:

    It is FURTHER ORDERED that Memorial Hospital and Dr. Valente (the participating physician) failed to comply with the notice provisions of the Plan.


    DONE AND ORDERED this 1st day of November, 2004, in Tallahassee, Leon County, Florida.

    S

    WILLIAM J. KENDRICK

    Administrative Law Judge

    Division of Administrative Hearings The DeSoto Building

    1230 Apalachee Parkway

    Tallahassee, Florida 32399-3060

    (850) 488-9675 SUNCOM 278-9675

    Fax Filing (850) 921-6847 www.doah.state.fl.us


    Filed with the Clerk of the Division of Administrative Hearings this 1st day of November, 2004.


    ENDNOTES


    1/ Ms. Tabb elected to fill out the Maternity Pre-Admission Form at the hospital, before she toured the Women's Center (the

    hospital's maternity unit) the evening of September 20, 2001, and left the form at the front desk, rather than mail it to the hospital.


    2/ Transcript of the February 18, 2003, hearing, at page 108.


    3/ Memorial Hospital's counsel questioned Ms. Tabb regarding her recollection of each document customarily included in the packet. With regard to the NICA brochure, the following question was posed and the following answer was given:


    Q. . . . And then this NICA brochure, you've already looked at before, and you testified -

    - do you recall receiving that at the Memorial Hospital preregistration?


    1. I've never seen this until I got a lawyer. I never knew anything about NICA until I discussed that with a lawyer.


4/ At the time Ms. Tabb pre-registered, the hospital employed two clerks in the registration office at its Women's Center.

Those clerks were Leslie Joseph, who testified at hearing and worked the 6:00 a.m. to 2:30 p.m. shift, and Tina Brybold, who worked the 9:30 a.m. to 6:00 p.m. shift.


5/ Transcript of February 18, 2003, hearing, at page 114.


6/ From 1996 through 2001, Memorial Hospital requested color brochures from NICA on four occasions, and they were sent, as follows:


Date Number of brochures sent


July 23, 1996 number unknown

November 20, 1996 number unknown

March 4, 1997 number unknown

July 25, 1997 1,000 sent

No request in 1998 none

No request in 1999 none

No request in 2000 none

No request in 2001 none


(Doctor's Exhibit 7, pages 36-38) Of note, in 2001 alone, Memorial Hospital had 1,963 live births. (Doctor's Exhibit 7, page 44)


COPIES FURNISHED:

(By certified mail)


Richard L. Nichols, Esquire 3000 Hartley Road, Suite 5

Jacksonville, Florida 32257


Kenney Shipley, Executive Director Florida Birth-Related Neurological

Injury Compensation Association 1435 Piedmont Drive, East, Suite 101 Post Office Box 14567

Tallahassee, Florida 32308


Ronald A. Labasky, Esquire Landers & Parson, P.A.

310 West College Avenue Tallahassee, Florida 32301


Mary Bland Love, Esquire

Gobelman, Love, Gavin, Blazs & Mathis 815 South Main Street, Suite 300

Jacksonville, Florida 32207


James C. Rinaman, Jr., Esquire Marks Gray, P.A.

Post Office Box 447 Jacksonville, Florida 32201


Grace M. Valente, M.D. 1522 Oak Street

Jacksonville, Florida 32204


Memorial Healthcare Group

3625 University Boulevard, South Jacksonville, Florida 32216


Charlene Willoughby, Director Consumer Services Unit - Enforcement Department of Health

4052 Bald Cypress Way, Bin C-75 Tallahassee, Florida 32399-3275

NOTICE OF RIGHT TO JUDICIAL REVIEW


A party who is adversely affected by this final order is entitled to judicial review pursuant to Sections 120.68 and 766.311, Florida Statutes. Review proceedings are governed by the Florida Rules of Appellate Procedure. Such proceedings are commenced by filing the original of a notice of appeal with the Agency Clerk of the Division of Administrative Hearings and a copy, accompanied by filing fees prescribed by law, with the appropriate District Court of Appeal. See Section 766.311, Florida Statutes, and Florida Birth-Related Neurological Injury Compensation Association v.

Carreras, 598 So. 2d 299 (Fla. 1st DCA 1992). The notice of appeal must be filed within 30 days of rendition of the order to be reviewed.


Docket for Case No: 02-003277N
Issue Date Proceedings
Nov. 09, 2004 Certified Return Receipt received this date from the U.S. Postal Service.
Nov. 05, 2004 Certified Return Receipt received this date from the U.S. Postal Service.
Nov. 04, 2004 Certified Return Receipt received this date from the U.S. Postal Service.
Nov. 01, 2004 Amendment to Final Order Following Remand. CASE CLOSED.
Nov. 01, 2004 Certified Mail Receipt (USPS).
Nov. 01, 2004 Certified Mail Receipt (USPS).
Oct. 06, 2004 Answer Brief of Appellee Memorial Healthcare Group filed.
Oct. 06, 2004 Letter to Judge Kendrick from J. Rinaman, Jr., regarding changes to the Judge`s Final Order of July 17, 2003, filed.
Sep. 30, 2004 Letter to Parties from Judge Kendrick regarding receipt of the Opinion and Mandate of the First District Court of Appeal filed.
Sep. 20, 2004 (Proposed) Revised Final Order filed by the Petitioner.
Sep. 20, 2004 Petitioner`s Notice of Filing of Proposed Revised Final Order filed.
Sep. 17, 2004 Mandate filed.
Aug. 31, 2004 Opinion filed.
Feb. 23, 2004 Amended Notice of Unavailability filed.
Nov. 13, 2003 Notice of Unavailability filed.
Oct. 22, 2003 Index, Record, and Certificate of Record sent to the First District Court of Appeal.
Oct. 09, 2003 Statement of Service Preparation of Record sent out.
Oct. 08, 2003 Index sent out.
Aug. 28, 2003 Letter to Judge Kendrick from R. Owens enclosing corrected appearance sheets for volume two (filed via facsimile).
Aug. 27, 2003 Appellants` Directions to the Clerk filed.
Aug. 25, 2003 Letter to A. Cole from J. Wheeler attaching a docketing statement filed.
Aug. 19, 2003 Certified Copy of the Notice of Appeal sent to the First District Court of Appeal.
Aug. 18, 2003 Notice of Appeal filed by Petitioner.
Aug. 08, 2003 Order (Motion for Re-hearing and Modification of Final Order is denied).
Aug. 04, 2003 Notice of Counsel of Record Firm Name Change filed by M. Love.
Jul. 24, 2003 Petitioner`s Motion for Re-Hearing and Modification of Final Order (filed via facsimile).
Jul. 22, 2003 Certified Return Receipt received this date from the U.S. Postal Service.
Jul. 21, 2003 Certified Return Receipt received this date from the U.S. Postal Service.
Jul. 18, 2003 Certified Return Receipt received this date from the U.S. Postal Service.
Jul. 17, 2003 Certified Mail Receipt (USPS).
Jul. 17, 2003 Final Order (hearing held February 18 and May 28, 2003). CASE CLOSED.
Jul. 15, 2003 Letter to M. Love from Judge Kendrick stating in receipt of letter of June 17, 2003, and copy of a proposed order regarding the hearing held on May 21, 2003, on your motion in limine.
Jul. 14, 2003 (Proposed) Order filed by Grace Valente.
Jul. 14, 2003 (Proposed) Order filed by Memorial Hospital.
Jul. 11, 2003 (Proposed) Order (filed by Intervenor via facsimile).
Jul. 11, 2003 Respondent`s Memorandum Re: Compensability and Notice (filed via facsimile).
Jun. 25, 2003 Order. (Intervenor Grace Valente, M.D.`s request is granted, and all parties are accorded until 5:00 p.m., July 11, 2003, to file their proposed orders)
Jun. 23, 2003 (Proposed) Final Order on Compensability and Notice filed by Petitioner.
Jun. 23, 2003 Petition for Extension of Time to File Proposed Findings of Fact and Conclusions of Law (filed by M. Love via facsimile).
Jun. 23, 2003 Notice of Reserving Court Reporter (filed by M. Love via facsimile).
Jun. 23, 2003 Notice of Hearing by Telephone (filed by M. Love via facsimile).
Jun. 23, 2003 Petitioner`s Ojection to Intervenor`s Motion for Extension of Time to File Proposed Final Order (filed via facsimile).
Jun. 19, 2003 Condensed Transcript (Volume Two) filed.
Jun. 19, 2003 Transcript (Volume Two) filed.
Jun. 16, 2003 (Proposed) Order on Motion in Limine of Intervenor filed.
May 29, 2003 Deposition (of Sandra Kelly) filed.
May 29, 2003 Notice of Filing Deposition Transcript filed by Petitioner.
May 28, 2003 Exhibits filed.
May 28, 2003 CASE STATUS: Hearing Held; see case file for applicable time frames.
May 28, 2003 Transcript (Telephone Hearing on Intervenor Valente`s Motion in Limine) filed.
May 28, 2003 Statement of Legal Services of Richard L. Nichols, Esq. for Filing NICA Petition filed.
May 27, 2003 Deposition of Sandra Kelly (filed via facsimile).
May 27, 2003 Notice of Filing Deposition Transcript (filed by Petitioner via facsimile).
May 23, 2003 Intervenor`s Amendment to Exhibit List filed.
May 21, 2003 Deposition (5), (of Diana Bartlett, Nichole Hicks, Melissa Hein, Melanie Milton, Abigail Mohammad) filed.
May 21, 2003 Notice of Filing Original Deposition Transcript of Abigail Mohammad filed by M. Love.
May 21, 2003 Notice of Filing Original Deposition Transcript of Melanie Milton filed by M. Love.
May 21, 2003 Notice of Filing Original Deposition Transcript of Melissa Hein filed by M. Love.
May 21, 2003 Notice of Filing Original Deposition Transcript of Nichole Hicks filed by M. Love.
May 21, 2003 Notice of Filing Original Deposition Transcript of Diana Bartlett filed by M. Love.
May 19, 2003 Petitioners` Amendment to Witness & Exhibit List (filed via facsimile).
May 16, 2003 Notice of Reserving Court Reporter (filed by M. Love via facsimile).
May 16, 2003 Notice fo Telephone Hearing (filed by M. Love via facsimile).
May 14, 2003 Petitioner`s Response to Motion in Limine of Grace M. Valente, M.D. (filed via facsimile).
May 08, 2003 Motion in Limine of Intervenor Grace Valente, M.D. filed.
May 08, 2003 Notice of Reserving Court Reporter filed by M. Love.
May 08, 2003 Notice of Hearing filed by M. Love.
May 07, 2003 Transcript filed.
May 07, 2003 Notice of Filing Trial Transcript filed by Petitioner.
May 07, 2003 Transcript filed.
May 01, 2003 Notice of Taking Deposition of NICA Representative Sandra Kelly filed by M. Love.
May 01, 2003 Deposition (of Diana Bartlett) filed.
May 01, 2003 Deposition (of Nichole Hicks) filed.
May 01, 2003 Deposition (of Abigail Mohammad) filed.
May 01, 2003 Deposition (of Melanie Milton) filed.
May 01, 2003 Deposition (of Melissa Hein) filed.
May 01, 2003 Cross Notice of Taking Deposition, S. Kelly filed.
May 01, 2003 Notice of Filing Deposition Transcripts filed by Petitioner.
Apr. 28, 2003 Notice of Filing Original Transcript of Hearing filed by Respondent.
Apr. 28, 2003 Transcript filed.
Apr. 23, 2003 Notice of Hearing issued (hearing set for May 28, 2003; 9:00 a.m.; Jacksonville, FL).
Apr. 09, 2003 Notice of Filing Respondent NICA`s Answer to Petitioner`s Interrogatories filed.
Apr. 09, 2003 Petitioners` Amended Exhibit List filed.
Apr. 09, 2003 Notice of Status Conference filed by R. Nichols.
Apr. 07, 2003 Respondent`s Response to Petitioners` Interrogatories filed.
Apr. 04, 2003 Respondent`s Response to Petitioners` Interrogatories (filed via facsimile).
Mar. 27, 2003 Letter to Judge Kendrick from J. Rinaman, Jr. regarding scheduling of hearing filed.
Mar. 25, 2003 Letter to S. McIntyre from L. Pinchback enclosing original errata sheet of deposition of L. Joseph filed.
Mar. 24, 2003 Notice of Change of Address (filed by R. Labasky via facsimile).
Mar. 21, 2003 Letter to R. Nichols from Judge Kendrick acknowledging receipt of letter requesting a status conference issued.
Mar. 20, 2003 Letter to Judge Kendrick from M. Love regarding status of this matter (filed via facsimile).
Mar. 20, 2003 Notice of Taking Depositions, D. Bartlett, N. Hicks, A. Mohammad, M. Milton, M. Hein-Johnson filed by M. Love.
Mar. 20, 2003 Letter to Judge Kendrick from R. Nichols regarding taking of deposition filed.
Mar. 20, 2003 Intervenor Memorial Healthcare Group, Inc. d/b/a Memorial Hospital Jacksonville`s Notice of Substitution of Counsel (filed by J. Rinaman, Jr.).
Mar. 11, 2003 Order issued. (motion for protective order is granted, and the hospital need not respond to the interrogatories propounded by Petitioners)
Mar. 05, 2003 Notice of Taking Depositions, D. Bartlett, N. Hicks, A. Mohammad, M. Milton, M. Hein-Johnson filed by M. Bland.
Mar. 05, 2003 Subpoena ad Testificandum, E. Shearn filed.
Mar. 05, 2003 Verified Return Service filed.
Feb. 24, 2003 Intervenor Memorial Healthcare Group, Inc.`s Objection and Motion for Protective Order to Quash and Strike Petitioner`s Purported Notice of Propounding Interrogatories to Intervenor Memorial Hospital Jacksonville Dated Februrary 19, 2003 and Interrogatories to Intervenor Memorial Hospital Jacksonville Dated February 19, 2003 filed.
Feb. 21, 2003 Interrogatories to Intervenor Memorial Hospital Jacksonville dtd February 19, 2003 filed by Petitioner.
Feb. 21, 2003 Interrogatories to Respondent (NICA) filed by Petitioner.
Feb. 21, 2003 Notice of Propounding Interrogatories to Intervenor Memorial Hospital Jacksonville dated February 19, 2003 filed by Petitioners.
Feb. 21, 2003 Notice of Propounding Interrogatories to Respondent (NICA) dated February 19, 2003 filed by Petitioners.
Feb. 21, 2003 Petitioner`s Amended Witness List filed.
Feb. 18, 2003 CASE STATUS: Hearing Partially Held; continued to date not certain.
Feb. 13, 2003 Notice of Filing Original Deposition Transcript filed by Petitioner.
Feb. 13, 2003 Response to Request for Admissions of Intervenor Grace M. Valente, M.D. filed.
Feb. 13, 2003 Deposition (of Leslie C. Joseph) filed.
Feb. 10, 2003 Respondent`s Response to Request for Admissions filed.
Feb. 06, 2003 Notice of Filing Respondent`s Response to Petitioner`s Request for Production filed by Petitioner.
Feb. 06, 2003 Deposition (of Dusti Tebbs) filed.
Feb. 06, 2003 Notice of Filing Original Deposition Transcript filed by Petitioners.
Feb. 06, 2003 Verfied Service filed.
Feb. 06, 2003 Subpoena ad Testificandum, D. Tebbs filed.
Feb. 05, 2003 Response to Third Request for Admissions from Petitioners filed.
Feb. 05, 2003 (Joint) Prehearing Stipulation (filed via facsimile).
Jan. 28, 2003 Cross Notice of Taking Deposition of Dusti Tebbs filed.
Jan. 27, 2003 Notice of Taking Deposition, D. Tebbs filed.
Jan. 22, 2003 Disclosure of Witnesses and Exhibits filed by J. Rinaman.
Jan. 21, 2003 Respondent`s Response to Petitioner`s Request for Production filed.
Jan. 21, 2003 Response to Request for Copies of Grace Valente, M.D. filed.
Jan. 17, 2003 Notice of Filing Petitioners` Witness and Exhibit List filed.
Jan. 17, 2003 Pretrial Compliance of Intervenor, Grace M. Valente, M.D. filed.
Jan. 16, 2003 Third Request for Admission to Memorial Hospital Jacksonville filed by Petitioner.
Jan. 16, 2003 Request for Admissions to Respondent filed by Petitioner.
Jan. 16, 2003 Request for Admissions to Intervenor Grace M. Valente, M.D. filed by Petitioner.
Jan. 13, 2003 Response to Second Request for Production from Petitioners filed by J. Rinaman.
Jan. 08, 2003 Re-Notice of Taking Deposition (2), L. Joseph, Memorial Hospital Jacksonville filed by R. Nichols.
Jan. 07, 2003 Response to Second Request for Admissions from Petitioners filed by J. Barbour.
Jan. 06, 2003 Response to Request for Copies of Grace Valente, M.D. filed by M. Love.
Jan. 03, 2003 Notice of Taking Deposition (2), Memorial Hospital Jacksonville, L. Joseph filed by Petitioner.
Jan. 03, 2003 Second Request for Production to Memorial Hospital Jacksonville filed by Petitioner.
Dec. 31, 2002 Response to Request for Copies of Grace Valente, M.D. filed by M. Love.
Dec. 27, 2002 Response to Request for Copies of Grace Valente, M.D. filed by Intervenor.
Dec. 24, 2002 Notice of Service of Answers to Interrogatories from Petitioners filed by J. Rinaman.
Dec. 23, 2002 Request for Copies filed by L. Pinchback.
Dec. 20, 2002 Response to Request for Production from Petitioners filed by Intervenor.
Dec. 19, 2002 Request for Copies filed by J. Barbour.
Dec. 19, 2002 Request for Copies filed by J. Rinaman.
Dec. 17, 2002 Interrogatories to Respondent (NICA) filed by R. Nichols.
Dec. 17, 2002 Notice of Propounding Initial Interrogatories to Intervenor Memorial Hospital Jacksonville filed by R. Nichols.
Dec. 17, 2002 Notice of Propounding Initial Interrogatories to Respondent (NICA) filed by R. Nichols.
Dec. 17, 2002 Request for Production to Respondent (NICA) dtd December 13, 2002 filed by R. Nichols.
Dec. 17, 2002 Interrogatories to Intervenor Memorial Hospital Jacksonville filed by R. Nichols.
Dec. 17, 2002 Second Request for Admissions to Memorial Hospital Jacksonville filed by R. Nichols.
Dec. 17, 2002 Request for Copies filed by R. Nichols.
Dec. 16, 2002 Subpoena Duces Tecum, Children`s Medical Services Records Custodian filed.
Dec. 12, 2002 Response to Request for Copies of Grace Valente, M.D. filed by M. Love .
Dec. 06, 2002 Order issued. (ordered that on or before January 15, 2003, the parties shall disclose in writing all witnesses they expect to testify at the hearing, as well as all exhibits they expect to offer at hearing)
Dec. 06, 2002 Notice of Hearing issued (hearing set for February 18, 2003; 8:30 a.m.; Jacksonville, FL).
Dec. 06, 2002 Order of Pre-hearing Instructions issued.
Dec. 05, 2002 Deposition (of Lana Raleigh) filed.
Dec. 05, 2002 Deposition (of Suzanne Belz) filed.
Dec. 05, 2002 Notice of Filing Original Deposition Transcripts filed by Petitioner.
Dec. 04, 2002 Letter to M. Love from Judge Kendrick enclosing original medical records and invoice from Early Intervention Services that were erroneously filed with DOAH issued.
Dec. 02, 2002 Letter to Judge Kendrick from M. Stalter enclosing requested patient records filed.
Dec. 02, 2002 Response to Request for Admissions to Memorial Hospital Jacksonville filed by J. Barbour.
Nov. 26, 2002 Notice of Taking Deposition Melissa Price filed.
Nov. 26, 2002 Response to Request for Copies of Grace Valente, M.D. filed.
Nov. 22, 2002 Petitioner`s Response to Intervenor Memorial Hospital Jacksonville Request for Production filed.
Nov. 22, 2002 Petitioner`s Response to Intervenor Grace M. Valente, M.D.`s Request for Production filed.
Nov. 21, 2002 Request for Copies filed by R. Nichols.
Nov. 19, 2002 Subpoena Duces Tecum (4), Records Custodian Duval County Health Department, Records Custodian Emergency Pregnancy Service, Records Custodian Early Intervention Program, Records Custodian Duval County Health Department filed.
Nov. 15, 2002 Request for Production of Documents to Petitioner filed by M. Love.
Nov. 12, 2002 Subpoena Duces Tecum, T. Mandel, Medical Records Custodian St. Vincent`s Medical Center filed.
Nov. 12, 2002 Request for Production of Documents of Intervenor Memorial Hospital Jacksonville filed by J. Barbour.
Nov. 07, 2002 Letter to R. Nichols from K. Shipley enclosing settlement offer filed.
Nov. 07, 2002 Respondent`s Response to Petition (filed via facsimile).
Oct. 30, 2002 Request for Production to Memorial Hospital Jacksonville of Intervenor Grace Valente, M.D. filed.
Oct. 28, 2002 Request for Production to Memorial Hospital Jacksonville filed by Petitioner.
Oct. 24, 2002 Exhibits filed.
Oct. 24, 2002 Deposition (of Erica Shearn) filed.
Oct. 24, 2002 Notice of Taking Deposition Duces Tecum Medical Records Custodian for St. Vincent`s Medical Center, St. Vincent`s Medical Center 2 filed.
Oct. 24, 2002 Request for Admission to Memorial Hospital Jacksonville filed by R. Nichols
Oct. 24, 2002 Notice of Filing Original Deposition Transcripts filed.
Oct. 24, 2002 The Deposition of Grace Valente, M.D. filed.
Oct. 10, 2002 Order (petition for leave to intervene filed on behalf of Grace Valente, M.D. is granted).
Oct. 07, 2002 Notice of Taking Deposition of Clarice Tabb filed.
Oct. 03, 2002 Order Granting Intervention issued. (Grace M. Valente, Memorial Healthcare Group)
Oct. 03, 2002 Amended Petition for Leave to Intervene filed by M. Love.
Oct. 02, 2002 Order Granting Intervention issued.
Oct. 02, 2002 Petition for Leave to Intervene filed by R. Broach.
Oct. 01, 2002 Petition for Leave to Intervene filed by M. Love.
Sep. 30, 2002 Subpoena Duces Tecum, G. Valente, Employee of G. Valente who made attached entry dated 9/27/01 in the chart filed.
Sep. 26, 2002 Re-Notice of Taking Deposition Duces Tecum, G. Valente, E. Shearn filed.
Sep. 18, 2002 Order issued. (Petitioner`s Motion to Bifurcate is denied)
Sep. 18, 2002 Notice of Filing filed by Petitioner.
Sep. 09, 2002 Letter to Judge Kendrick from R. Nichols Requesting Subpoenas filed.
Sep. 09, 2002 Order issued. (motion to accept K. Shipley as its qualified representative is granted)
Sep. 09, 2002 Notice of Taking Video Deposition Duces Tecum, Employee of G. Valente. G. Valente filed.
Sep. 09, 2002 First Request for Production to Respondent filed Petitioner.
Sep. 09, 2002 Petitioner`s Request for Status Hearing filed.
Sep. 05, 2002 Petitioners` Response to Motion to Act as Qualified Representative Before The Division of Administrative Hearings (NICA) filed.
Sep. 03, 2002 Motion to Act as a Qualified Representative Before the Division of Administrative Hearings filed by Respondent
Aug. 20, 2002 Letter to parties of record from Ann M. Luchini enclosing NICA claim for compensation with medical records sent out.
Aug. 20, 2002 Notice that this case is now before the Division of Administrative Hearings sent out.
Aug. 19, 2002 NICA Medical Records filed (not available for viewing).
Aug. 19, 2002 Petition for Benefits Pursuant to Florida Statute, Section 766.301 et seq. and Motion for Bifurcation of Issue of Notice filed.

Orders for Case No: 02-003277N
Issue Date Document Summary
Nov. 01, 2004 Amended DOAH FO The amendment resolved that the hospital failed to coply with the notice provision of the Plan.
Aug. 30, 2004 Opinion
Aug. 30, 2004 Mandate
Jul. 17, 2003 DOAH Final Order Claim was compensable; however, physician did not comply with notice provisions of the plan.
Source:  Florida - Division of Administrative Hearings

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