Crane v. Lifemark Hospitals, Inc.

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Plaintiff, who is deaf, filed suit against PGH and its parent organization, Lifemark Hospitals, alleging that they failed to provide an American Sign Language (ASL) interpreter for plaintiff to effectively communicate during an involuntary commitment evaluation. At issue on appeal was whether plaintiff was afforded an equal opportunity, through an appropriate auxiliary aid, to effectively communicate medically relevant information during his involuntary commitment evaluation. The Eleventh Circuit reversed the district court's grant of summary judgment for defendants, holding that genuine issues of material fact existed as to whether plaintiff was able to effectively communicate medically relevant information and whether the hospital personnel were deliberately indifferent. View "Crane v. Lifemark Hospitals, Inc." on Justia Law