OPINION
(Assigned).
Both appellee Kirk and appellant Crawford have filed a motion for rehearing. Dr. Kirk continues to assert and argue that a tort cause of action does not exist in favor of Crawford for recovery of damages in the form of actual medical expense incurred as a result of an alleged failed sterilization procedure. Crawford, however, complains that the. original opinion herein, dated August 12, 1996, holds that medical expenses are the only element of damages recoverable under Texas law when a normal, healthy child is born of a pregnancy that is proximately caused by a physician’s negligence in the performance of a sterilization procedure. Both motions are overruled, but the opinion of August 12, 1996, will be withdrawn and an opinion entered clarifying the decision of this Court.
Tammy Crawford appeals a summary judgment entered in favor of Dr. John Kirk in this medical malpractice suit. The trial court ruled that no cause of action exists under Texas law for recovery of damages under any action pled and granted Kirk summary judgment. The judgment is reversed, and the case is remanded for trial.
Tammy Crawford married Scott Crawford in 1984. Tammy’s four-year-old son from a previous marriage lived with the Crawfords. In 1985, Tammy Crawford gave birth to a daughter. Thereafter, the couple desired to have a son of their own, but were reluctant to undertake the responsibility of another child due to the family’s financial circumstances: Tammy Crawford was not employed and her husband earned just under eight dollars an hour as a welder. After much consideration, the couple decided in favor of one more child. Early in 1988, Tammy Crawford became pregnant again; Appellee Kirk was her doc *635 tor for the pregnancy. Because the Craw-fords had decided that their financial circumstances would allow them to have no more children even if the baby was a girl, they requested that Kirk perform a sterilization operation known as a tubal ligation on Tammy Crawford immediately after delivering the baby.
On September 6, 1988, Tammy Crawford gave birth to a girl. Immediately after delivery, Kirk performed the tubal ligation. After completing the procedure, Kirk informed Crawford that she was sterile. Subsequently, Crawford asked Kirk if she and her husband needed to use contraception when they resumed sexual activity. Kirk told her that because she was sterile, there was no need for contraception.
In January 1989, Crawford discovered that she was pregnant. In February 1989, under the care of a different doctor, Crawford had a sonogram performed, and was informed that she might be carrying twins or even triplets. A second sonogram in April 1989 ruled out the possibility of triplets, but confirmed that the couple could expect twins.
In March 1989, Crawford began experiencing vaginal bleeding. This problem worsened as her pregnancy progressed, and eventually required lengthy hospitalization. Crawford was hospitalized May 8 through 15, June 23 to 25, and July 10 through August 14. While hospitalized, Crawford was unable to care for her other children. After March 1989, even when she was not hospitalized, she was required to stay in bed almost constantly. On August 14, Crawford gave birth to twin girls.
Crawford filed this suit on November 15, 1990, alleging that Kirk negligently performed the sterilization procedure, and that this negligence was a proximate cause of the pregnancy and its associated complications. During the pendency of the suit, Crawford suffered a prolapsed uterus, allegedly caused by her pregnancy with the twins, and underwent a hysterectomy. Crawford seeks damages for all medical expenses associated with the pregnancy, physical and mental pain and suffering, and the costs of raising the twins to the age of majority. The trial court granted Kirk’s motion for summary judgment, holding that there is no cause of action in Texas to recover monetary damages for wrongful pregnancy.
Crawford contends that the trial court erred in holding that Texas does not recognize a cause of action for wrongful pregnancy. 1 The Texas Supreme Court has not directly addressed this issue, but it has issued opinions and rulings on a number of closely-related questions that provide significant guidance to a correct determination of this case.
In
Hays v. Hall,
The court of civil appeals affirmed the trial court’s dismissal of the case on the ground that the plaintiffs failed to bring the suit within the required statutory period.
Hays v. Hall,
The Supreme Court reversed in an opinion that addressed only the statute of limitations point. The court held that in cases alleging negligent performance of a vasectomy, the statutory period for filing suit does not begin until the patient learns that the procedure was ineffective.
Hays,
In
Jacobs v. Theimer,
Hays, Jacobs, and Nelson thus hold that the parents of an impaired child born as a result of another’s negligence may recover the economic costs of care and treatment of the child’s impairment. These cases do not address, however, the viability of a cause of action for damages resulting from negligence causing an undesired pregnancy which culminates in the birth of a healthy child. Various courts of appeals have reached inconsistent answers to this question.
In
Terrell v. Garcia,
Despite its decision in
Terrell,
the San Antonio Court of Appeals later held that some types of damages may be recoverable in cases in which a healthy child is born after the allegedly negligent performance of a sterilization procedure.
Garwood v. Locke,
A recent opinion by the Waco Court of Appeals relied primarily on
Garwood
to permit recovery of a variety of damages in a wrongful pregnancy action.
Flax v. McNew,
A review of existing Texas authorities indicates the court in
Flax
was correct in holding that damages for the support and maintenance of a healthy child born after a failed sterilization procedure are not recoverable in Texas.
Terrell,
As discussed above, in
Jacobs,
a wrongful birth case, the Supreme Court limited recovery to the expenses for care and treatment of the child’s physical impairment, rejecting as speculative the parents’ claim for emotional suffering.
Jacobs,
In light of those cases in which the Supreme Court has either written an opinion or denied writ of error, it is concluded that at the present time the parents of a normal, healthy child born after a failed sterilization procedure may recover damages for their actual medical expenses incurred as a result of the failed procedure.
Terrell
prohibits recovery of the costs of the child’s support and maintenance.
Terrell,
The Crawford pleadings allege grounds of recovery other than medical expenses. This *638 opinion should not be expanded to discuss and speculate upon whether a recovery of damages for a variety of other losses is permissible in a variety of circumstances.
Kirk argues under Reply Point 3 of his brief that the trial court correctly granted his motion for summary judgment because he successfully negated the elements of proximate cause and damages in appellant’s pleading.
A movant for summary judgment has the burden of showing that there is no genuine issue of material fact and that the movant is entitled to judgment as a matter of law.
Nixon v. Mr. Property Management,
Kirk asserts that Crawford failed to present competent summary judgment evidence that his actions proximately caused her pregnancy. The record shows that Crawford offered an affidavit by an expert in the field of obstetrics, stating that Kirk performed the tubal ligation improperly, and that such negligence was a proximate cause of the pregnancy. In deciding whether there is a disputed material fact issue precluding summary judgment, evidence favorable to the nonmovant must be taken as true.
Nixon v. Mr. Property Management,
The trial court erred in concluding that there is no cause of action in Texas for wrongful pregnancy and in granting summary judgment on that ground. Therefore, the case must be remanded for a new trial.
It is so ordered.
Notes
. The term "wrongful pregnancy” generally refers to an action brought by parents for an undesired pregnancy resulting in the birth of a normal, healthy child due to alleged negligence in the performance of a sterilization procedure. In contrast, "wrongful birth” denotes an action brought by parents for negligent failure to diagnose or warn of an abnormality prior to the birth of a deformed child.
See Flax v. McNew,
