Following a successful summary judgment motion dismissing the action against a hospital in a medical malpractice proceeding, the court addressed costs.
The hospital sought recovery of its costs for both the summary judgment motion and the broader action.
The court considered whether a Bullock or Sanderson order was appropriate and the impact of a co-defendant physician’s refusal to admit a key factual issue relating to nursing care.
Exercising discretion under Rule 57.01(1)(g) of the Rules of Civil Procedure and s.131 of the Courts of Justice Act, the court held that the physician’s refusal to admit the fact necessitated the motion and justified shifting the hospital’s costs to him.
The hospital’s costs were fixed for the motion, the action, and the costs hearing.