Boyle v. FoxBoyle v. Fox
In May 2003, plaintiff Carolyn Boyle (hereinafter plaintiff) was prescribed Gentamiсin, for treatment of her endocarditis, by defendants, her treating physicians. In November 2006, plaintiff and her husband, derivatively, commenced this action for medical malpractice against defendants, alleging that as a result of their negligent administration and monitoring of Gentamicin, plaintiff suffered inner ear damage affecting her vision and balance and causing her recurrent headaches. Defendants moved to dismiss the complaint on the ground that the action was time-barred by the applicablе 2 1/2-year statute of limitations (see
As conceded by plaintiffs, defendants met their threshold requirement of offering prima facie proof that the applicable statute of limitations had expired, thereby shifting the burden
Plaintiff‘s affidavit in opposition to defendant‘s motion avers that shе was under the continuous care of defendants for treatment of the complaints that she madе shortly after she was prescribed Gentamicin, that she continued to see defendants through October 2004 and that she “never saw [defendants] without complaining of the effects of the Gentamicin and seеking medical relief from the symptoms of those effects.” Yet medical records of July, Septembеr and October 2004* show that plaintiff was treated for separate and distinct conditions, such as high bloоd pressure, heart palpitations and arthritic related symptoms, and are devoid of proof that plaintiff complained of, or was treated for, any symptoms related to the conditions аl
Nor did Supreme Court err in dismissing plaintiffs’ derivative claims as time-barrеd. Any extension granted by the tolling of the statute of limitations pursuant to the continuous treatment doctrine is personal to the recipient of the treatment and does not apply to derivative claims (see
Spain, Rose, Lahtinen and Kavanagh, JJ., concur. Ordered that the order and judgment are affirmed, with costs.