Nichols v. StamerNichols v. Stamer
“To establish a prima facie case of liability in a medical malpractice action, a plaintiff must prove (1) the standard of care in the locality where the treatment occurred, (2) that the defendant breached that standard of care, and (3) that the breach of the standard was the proximate cause of injury” (Berger v Becker, 272 AD2d 565, 565 [2000] [citations omitted]; see also Alvarez v Prospect Hosp., 68 NY2d 320 [1986]). “Expert testimony is necessary to prove a deviation from accepted standards of medical care and to establish proximate cause” (Lyons v McCauley, 252 AD2d 516, 517 [1998], citing Koehler v Schwartz, 48 NY2d 807 [1979]).
The instant case concerns the treatment of the plaintiff‘s left leg for “compartment syndrome.” The leg contains four compartments, each of which contains muscles, arteries, and nerves. A bad fracture, such as the one sustained by the plaintiff, can increase the pressure in one of these compartments. Increased pressure can impede blood flow through the capillaries in the compartment, which can damage the muscular, vascular, and nervous tissue in the compartment. The pressure can be relieved by performing a fasciotomy—cutting open the leg specifically to relieve the pressure.
Here, the plaintiff‘s expert testified that the defendant Orthopedic Associates of Dutchess County, P.C. (hereinafter the defendant), departed from the accepted standard of care by delaying the treatment of the plaintiff‘s left leg for compartment syndrome for 24 hours. This opinion was flatly contradicted by
The plaintiff‘s remaining contentions are without merit.
Mastro, J.P., Dickerson, Belen and Chambers, JJ., concur.