Boler v. Security Health Care, LLC

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Cleo Boler was admitted to Grace Living Center - Norman, in January 2010 and was a resident there until January 2012. Judy Little, as Cleo Boler's attorney in fact, signed the admission documents which included a three-page Dispute Resolution Provision. The arbitration agreement provided that any claim, controversy, dispute or disagreement arising out of or in connection with the care rendered to Cleo Boler would be determined by submission to neutral, binding arbitration. It purported to bind not only Cleo Boler, but any future legal representatives, heirs, successors, etc., who might assert a claim against Grace. Cleo Boler, individually, and Judy Little and Johnnie Boler as attorneys in fact, sued Grace and others for negligence, violation of the Nursing Home Care Act and breach of contract regarding the care and treatment of Cleo Boler. Grace filed a Motion to Compel Arbitration, asserting that the contract was one involving interstate commerce and was valid and enforceable under the Federal Arbitration Act (FAA), which preempted contrary state law. The issue this case presented for the Supreme Court's review was whether the trial court erred in denying the nursing home's motion to compel arbitration. The trial judge held that the wrongful death claim belonging to Cleo Boler's statutory claim was not subject to an agreement to arbitrate contained in her nursing home's admission contract. The Supreme Court agreed with the trial court and held that the personal representative and the next of kin were not bound by the arbitration agreement in the contract signed on Cleo Boler's behalf. They did not sign the nursing home contract in their personal capacities and their claim was not wholly derivative of Cleo Boler's claim. View "Boler v. Security Health Care, LLC" on Justia Law