Overstreet v. Kindred Nursing Ctrs. Ltd. P’ship

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Plaintiff, the administrate of the estate of Lula Belle Gordon, filed suit against several nursing home entities (collectively, “Kindred”), alleging that Kindred violated several provisions of Ky. Rev. Stat. 216.515 in its treatment and care of Gordon, resulting in her injury and death. The trial court entered judgment in favor of Plaintiff. The Court of Appeals reversed and ordered the dismissal of Plaintiff’s claims, concluding that Plaintiff’s claims were incident to a common law personal injury action and therefore subject to the one-year limitations period provided by Ky. Rev. Stat. 413.140. The Supreme Court affirmed, holding (1) Plaintiff’s claim under section 216.515(6) did not assert a claim for relief based upon a liability created by the statute because the claim simply represented a codification in the nursing home context of the common law personal injury cause of action and was, therefore, subject to a the one-year limitation period otherwise provided for personal injury actions; and (2) other causes of action based upon provisions of section 216.515, for which Plaintiff sought redress, were subject to the five-year limitations period established by section 413.120, but those causes of action must be brought during the lifetime of the resident by the resident or her guardian. View "Overstreet v. Kindred Nursing Ctrs. Ltd. P’ship" on Justia Law