In a California premises liability case involving whether the trial court properly applied the Medical Injury Compensation Act’s (MICRA) one-year statute of limitations for professional negligence, the appellate court held that it had been an error to apply the one-year statute of limitations for professional negligence. The court assessed whether the statute of limitations applied to bar her case, since the plaintiff argued that her injury was not caused by rendering professional services but in fact was caused by ordinary negligence.
The facts indicate that the plaintiff had been at a medical clinic, with the goal of reviewing test results with a nurse-practitioner. After her consult, the plaintiff left the treatment room in order to exit the building. She tripped on a scale that, she alleged, partly blocked the path from her room to the hall. As she tripped, she fell and suffered serious injuries.
The plaintiff’s complaint was filed nearly two years after the incident, and the health center alleged her injuries were caused by “a negligent act or omission in rendering professional services.” As a result, they contended she was subject to the one-year statute of limitations for professional negligence, and her complaint was time-barred.