Lee v. Bueno

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The primary question before the Oklahoma Supreme Court in this case was the constitutionality of 12 O.S. 2011 section 3009.1, limiting the admissibility of evidence of medical costs in personal injury actions. In 2014, plaintiff-petitioner Jhonhenri Lee was involved in a motor vehicle collision with defendant-respondent Diana Catalina Bueno. Lee was driving a vehicle that was struck from behind by a vehicle driven by Bueno. The collision pushed Lee's vehicle into the vehicle in front of him. After the collision, Lee sought medical treatment for injuries he sustained. At the time of the collision, Lee was insured under a policy with Blue Cross Blue Shield. Lee filed suit against Bueno alleging he sustained injuries for which he incurred property damage, medical expenses, pain and suffering, mental anguish, and was prevented from transacting business, as a result of Bueno's actions and non-actions. Lee claimed damages in excess of $25,000. Prior to the commencement of discovery, Lee filed a Motion for Declaratory Relief Regarding the Constitutionality of 12 O.S. 2011 sec. 3009.1, asserting he incurred approximately $10,154 in medical expenses for treatment of injuries caused by Bueno's alleged negligence, and $8,112.81 in expenses submitted to his insurer, Blue Cross Blue Shield, who paid $2,845.11. Lee argued in his motion that 12 O.S. 2011 section 3009.1 was: (1) unconstitutional as a special law in violation of Okla. Const. art. 5, section 46; (2) unconstitutional because it violated his right to due process and a trial by jury; and (3) because it was unconstitutional, the collateral source rule should apply. The Supreme Court determined plaintiff did not meet the burden required to demonstrate the unconstitutionality of the statute, and the statute controlled over the collateral source rule to the extent the two might conflict. View "Lee v. Bueno" on Justia Law