YAH v Medway NHS Foundation Trust (rev 1) [2018] EWHC 2964 (QB) (05 November 2018)

YAH v Medway NHS Foundation Trust (rev 1) [2018] EWHC 2964 (QB) (05 November 2018)

The claimant is a primary victim as a result of obstetric negligence occurring before her child's birth; as a primary victim, she is not required to prove her psychiatric injury was caused by 'shock'; the psychiatric injury was materially contributed to by the negligent labour and immediate aftermath, and is not too...

Source-derived case information.

Citation
[2018] EWHC 2964
Parties
Claimant: YAH; Defendant: Medway NHS Foundation Trust
Jurisdiction
England and Wales
Judgment Date
05 November 2018
Procedural Posture
Personal Injury Clinical Negligence / Liability and Quantum Judgment After Trial
Outcome
Claim allowed for psychiatric injury as a primary victim; damages awarded.
Legal Topics
Primary and Secondary Victim Distinction, Psychiatric Injury, Remoteness of Damage, Causation, Damages Assessment
Tort Law Medical Negligence Personal Injury Primary and Secondary Victim Distinction Psychiatric Injury Remoteness of Damage Causation Damages Assessment

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Downloadable case file Legal principles 3 Authorities cited 8 Party arguments 2 Amounts and remedies 5
Sign in to unlock

Parties

YAH

Claimant

Medway NHS Foundation Trust

Defendant

Procedural Posture

Personal Injury Clinical Negligence / Liability and Quantum Judgment After Trial

  1. 1 Whether the claimant is a primary victim in law for psychiatric injury arising from obstetric negligence
  2. 2 Whether a primary victim must show psychiatric injury was caused by 'shock' to recover damages
  3. 3 Whether the psychiatric damage suffered is too remote from the defendant's negligence

Ratio Decidendi

The claimant is a primary victim as a result of obstetric negligence occurring before her child's birth; as a primary victim, she is not required to prove her psychiatric injury was caused by 'shock'; the psychiatric injury was materially contributed to by the negligent labour and immediate aftermath, and is not too remote; the claim for damages succeeds.

Court Disposition

Claim allowed for psychiatric injury as a primary victim; damages awarded.

Orders

  • General damages of £34,000 (psychiatric injury and caesarean section)
  • Interest of £1,605 on general damages