Tierney v. Girardi
Opinion of the Court
In this medical malpractice action, plaintiff, as executrix of the estate of Angelina Trotta, alleges that defendants deviated from the standard of care by failing to administer an anticoagulant to the decedent upon her development of atrial fibrillation,
The burden shifted to plaintiff to demonstrate the existence of a triable issue of fact. The IAS court properly excused plaintiffs procedural oversights, including the untimely filing of her expert’s affirmation, where there was no showing that plaintiff acted in bad faith or that the late filing prejudiced defendants, and where the court permitted defendants to respond to the supplementary affidavit (see CPLR 2001, 2004, 3101 [d] [1] [i]; St. Hilaire v White, 305 AD2d 209, 210 [2003]). Plaintiffs submissions raised a triable issue of fact as to whether defendants departed from the proper standard of care. Accordingly, defendants’ motion for summary judgment was properly denied. Concur — Gonzalez, P.J., Sweeny, Moskowitz, Renwick and Richter, JJ. [Prior Case History: 2010 NY Slip Op 31292(U).]
Case-law data current through December 31, 2025. Source: CourtListener bulk data.