CASE INFORMATION SHEET FLORIDA LEGAL PERIODICALS, INC. P.O. Box 3370, Tallahassee, FL (904) /(800) * FAX (850)

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CASE INFORMATION SHEET FLORIDA LEGAL PERIODICALS, INC. P.O. Box 3370, Tallahassee, FL 32315-3730 (904) 224-6649/(800) 446-2998 * FAX (850) 222-6266 COUNTY AND COURT: Osceola County Circuit Court NAME OF CASE: LINDA ROSE and TODD ROSE, her husband, v. Plaintiff, DAVID ROBINSON, M.D. and OSCEOLA CANCER CENTER, P.A., a Florida Corporation, Defendants CASE DOCKET NO.: CI07MP2282 JUDGE: John M. Kest PLAINTIFF(S) ATTORNEY(S)/TRIAL COUNSEL [full names, firm and city]: William E. Ruffier, Esq. Dellecker, Wilson, King, et al. Orlando, FL DEFENDANT(S) ATTORNEY(S)/TRIAL COUNSEL [full names, firm and city]: Richard S. Womble, Esq. and Christine V. Zharova, Esq. Rissman, Barrett, Hurt, Donahue & McLain, P.A. Orlando, FL

AGE/SEX/OCCUPATION OF PLAINTIFF OR DECEDENT [at time of accident or occurrence]: Ms. Rose is a 60-year old white female employed as a teacher. FOR WRONGFUL DEATH CASES, PLEASE GIVE AGE AND RELATIONSHIP OF SURVIVORS: DATE, TIME AND PLACE OF ACCIDENT OR OCCURRENCE: Ms. Rose treated with Dr. Robinson from April 20, 2004 to June 15, 2006. CAUSE OF INJURY: [factual description including allegations and defenses on liability]: Ms. Rose was diagnosed with right breast carcinoma in April 2004. Her case was presented to the breast tumor board, a conference of physicians with different specialties. The board recommended neoadjuvant chemotherapy, lumpectomy and radiation. Ms. Rose received chemotherapy prior to surgery. The plan was to reduce the size of the tumor (4 centimeters in diameter at time of diagnosis) so that breast conserving surgery (lumpectomy) could be performed. However, at the time of the lumpectomy, it was discovered that clean margins around the tumor had not been obtained. After consultation with her physicians, Ms. Rose chose to have a modified radical mastectomy of the right breast and a prophylactic simple mastectomy of the left breast. Following the surgery, Dr. Robinson gave additional chemotherapy to Ms. Rose. Ms. Rose experienced a severe side effect known as lymphedema. It was chronic, severe and intractable. Dr. Robinson felt that since the original plan had been to do radiation therapy following a lumpectomy and Ms. Rose had had bilateral mastectomies, radiation therapy would have no benefit. He felt, especially in light of the fact that radiation therapy would continue the severity of the problems with lymphedema, that it was reasonable and appropriate not to order the radiation therapy. On December 9, 2005, a PET scan showed a single focus of increased activity in the axilla which was felt by the radiologist to represent inflammation. 2

The next PET scan was performed on June 15, 2006 and showed a suspicious mass in both the left axilla and the chest wall. Those lesions were removed and Ms. Rose underwent further chemotherapy and radiation therapy. Ms. Rose was also prescribed Herceptin, a new drug that was not available in 2005 after the bilateral mastectomies. At both the time of the initial diagnosis and at recurrence, Ms. Rose s breast cancer was positive for the presence of the HER-2 oncogene, a poor prognostic factor. HER-2 predisposes a female for recurrence. Herceptin targets the HER-2 oncogene and changes its characteristics. Ms. Rose underwent one year of treatment with Herceptin and has not recurred. At the time of trial, she was cancer free. At trial plaintiff argued that Dr. Robinson negligently failed to order radiation therapy following the bilateral mastectomies and that he should have sent Ms. Rose for a surgical consultation at the time of the December 9, 2005 PET scan. NATURE OF INJURY [please be specific concerning injuries, treatment and medical testimony]: Plaintiff claimed that if Dr. Robinson had ordered the radiation therapy after the mastectomies, she would not have sustained a cancer recurrence, the need for chemotherapy and radiation therapy. Plaintiff claimed that she had a better than even chance of surviving breast cancer before the recurrence and a less than 50% chance of surviving the cancer after the surgery. Plaintiff claimed that due to the six-month delay between the December 9, 2005 PET scan and the June 16, 2006 PET scan, she had an increased fear of cancer. PLAINTIFF'S EXPERT WITNESSES [include full name, degree, specialty and city]: Ronald Citron, M.D. Calistoga, CA Medical Oncologist Dr. Citron testified that Dr. Robinson breached the standard of care by failing to order radiation therapy and by not acting upon the December 9, 2005 PET scan results. He stated that Ms. Rose s cancer would not have recurred if she had been given 3

radiation therapy. He opined that Ms. Rose is unlikely to survive the breast cancer. DEFENDANT'S EXPERT WITNESSES [include full name, degree, specialty and city]: Arnold Blaustein, M.D. Miami Beach, FL Medical Oncologist Dr. Blaustein testified that Dr. Robinson complied with the standard of care and acted reasonably and appropriately. There was a marked change in the breast tumor board s plan. The board had recommended lumpectomy. That was impossible and extensive bilateral mastectomies were performed which obviated the need for radiation. Herceptin was not available in 2005. Herceptin has greatly improved Ms. Rose s chances of survival. He does not believe that Ms. Rose will have a cancer recurrence in the future and believes it is likely that she will survive the breast cancer. CHECK APPROPRIATE SPACE: _X Verdict DATE OF VERDICT: December 4, 2008 VERDICT: Defense verdict COMPARATIVE NEGLIGENCE [if applicable]: Not applicable JUDGMENT: December 19, 2008 DATE OF JUDGMENT: Not applicable DEFENDANT'S OFFER: $200,000 4

PLAINTIFF'S DEMAND: $400,000 ATTORNEY'S COMMENTS: The parties entered into a High-Low agreement. The defense agreed to pay Plaintiff $200,000 if the verdict was less than $200,000 or a defense verdict. Plaintiff agreed to accept $400,000 even if the award was greater than $400,000. Submitted By: Firm: Richard S. Womble Date: January 22, 2009 Rissman, Barrett, Hurt, Donahue & McLain, P.A. Address: 201 E. Pine Street, Suite 1500 P.O. Box 4940 Orlando, FL 32802-4940 Telephone: (407) 839-0120 Fax: (407) 841-9726 5