- Court: Oregon Supreme Court
- Area(s) of Law: Tort Law
- Date Filed: 04-26-2012
- Case #: S058445
- Judge(s)/Court Below: Linder, J. for the Court; En Banc; De Muniz, C.J. concurring.
Dr. Borman (Borman) performed spinal surgery on Eads that resulted in Eads’s permanent and disabling injuries. Borman leased office space from Willamette Spinal Center (WSC) and Eads sued WSC for vicarious liability on the basis of apparent authority. The Court of Appeals affirmed the trial court’s grant of summary judgment for WSC. In order to succeed on an apparent agency theory, Eads would have had to reasonably believe that WSC was in the business of delivering medical services, rather than merely a building that housed independent medical providers. The WSC sign on the building and the WSC logo on Borman’s business card only created the appearance of an affiliation. They were insufficient to create the appearance that WSC had any oversight or control over Borman. Furthermore, Borman had his own contact information, letterhead, billing, staff, and performed the surgery at a local hospital. The Supreme Court held the record was inadequate to permit a jury to hold WSC liable for Borman’s negligent surgery on an apparent agency theory. Affirmed.