Hass v. RhodyCo Productions

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After crossing the finish line at the 2011 Kaiser Permanente San Francisco Half Marathon, Hass suffered a cardiac arrest and died. Hass’s wife and his minor children filed a wrongful death action, alleging that race-affiliated individuals and entities, including the organizer, were negligent in the organization and management of the race, particularly with respect to the provision of emergency medical services. After initially concluding that the action was barred under theories of primary assumption of the risk and express waiver, the trial court reversed itself, finding that primary assumption of the risk was inapplicable and that the plaintiffs should have been allowed to amend their complaint to plead gross negligence, which was outside of the scope of the written waiver and release. The court of appeal affirmed in part, agreeing that summary judgment was not warranted. The release at issue is not void on public policy grounds and was intended to be, and was accepted as, a comprehensive assumption of all risks associated with race participation and constituted a complete defense to a wrongful death action based on ordinary negligence. However, the trial court erred in requiring amendment of the complaint to plead gross negligence because a triable issue of material fact exists on this issue. View "Hass v. RhodyCo Productions" on Justia Law