Werling v. Sandy
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''Werling v. Sandy'', 17 Ohio St. 3d 45 (1985), was a case decided by the Supreme Court of Ohio that first recognized the
cause of action A cause of action or right of action, in law, is a set of facts sufficient to justify suing to obtain money or property, or to justify the enforcement of a legal right against another party. The term also refers to the legal theory upon which a ...
for the
wrongful death Wrongful death claim is a claim against a person who can be held liable for a death. The claim is brought in a civil action, usually by close relatives, as enumerated by statute. In wrongful death cases, survivors are compensated for the harm, ...
of a fetus in that state.


Decision

The parents of a
stillborn Stillbirth is typically defined as fetal death at or after 20 or 28 weeks of pregnancy, depending on the source. It results in a baby born without signs of life. A stillbirth can result in the feeling of guilt or grief in the mother. The ter ...
fetus sued for wrongful death, and the trial court dismissed the complaint on the grounds that there was no such cause of action. The Supreme Court of Ohio held that a cause of action would lie. The court recognized several statutory indicators that a stillborn fetus might properly be considered a decedent, including clauses in the
Uniform Anatomical Gift Act The Uniform Anatomical Gift Act (UAGA), and its periodic revisions, is one of the Uniform Acts drafted by the National Conference of Commissioners on Uniform State Laws (NCCUSL), also known as the Uniform Law Commission (ULC), in the United States ...
and the
rule against perpetuities The rule against perpetuities is a legal rule in the American common law that prevents people from using legal instruments (usually a deed or a will) to exert control over the ownership of private property for a time long beyond the lives of ...
. The court also recognized the arbitrariness of allowing recovery for wrongful death caused by negligently inflicted prenatal injuries in the case where the death occurs shortly after a live birth and disallowing recovering when the death occurred shortly before birth. The court held that the wrongful death action would only lie for a viable fetus that was carried full term.Henderson, et al., p. 332


Notes


References

{{United States tort case law Negligence case law United States tort case law 1985 in United States case law Ohio state case law 1985 in Ohio