What are the facts?
Mr. Tuer, a cardiac patient exhibiting unstable angina, was hospitalized and placed on intravenous heparin to reduce the risk of thrombosis while awaiting a cardiac procedure (percutaneous transluminal coronary angioplasty in the hospital's catheterization lab). At the time, the hospital's practice was to discontinue heparin once the patient was called to the lab because ongoing anticoagulation could increase the risk of bleeding during the procedure. In accordance with that practice, Dr. McDonald stopped the heparin infusion when the catheterization lab signaled readiness. A delay ensued before the procedure could begin, however, and during this gap heparin was not restarted. Before the procedure took place, Mr. Tuer suffered a cardiac event and died. In the period following the incident, the hospital revised its protocol to continue heparin until the patient actually arrived in the catheterization lab. In the ensuing wrongful death/medical malpractice action, the plaintiff sought to introduce evidence of this post-incident protocol change. The trial court allowed the evidence for impeachment (and related purposes), enabling cross-examination suggesting that if continuing heparin later became the standard protocol, stopping it earlier must have been negligent. A verdict was returned, and on appeal the dispute centered on whether admitting the subsequent remedial measure for impeachment violated Maryland Rule 5-407.
What is the legal issue?
May a plaintiff use evidence of a hospital's post-incident change in its heparin protocol as impeachment of a physician's testimony that stopping heparin before a catheterization procedure reflected reasonable medical judgment, where the defendant does not claim infeasibility or make factual assertions directly contradicted by the change?
What rule applies?
Under Maryland Rule 5-407 (mirroring Federal Rule of Evidence 407), evidence of subsequent remedial measures is not admissible to prove negligence or culpable conduct. Such evidence may be admitted for limited purposes—such as impeachment or, if disputed, ownership, control, or the feasibility of precautionary measures—but courts must construe the impeachment exception narrowly to avoid nullifying the rule. The feasibility exception applies only if the defendant has actually contested feasibility. A witness's explanation of professional judgment or risk-benefit tradeoffs does not, without more, open the door to impeachment via subsequent remedial measures.
What did the court hold?
Evidence of the post-incident change in the heparin protocol was inadmissible under Rule 5-407. Neither the feasibility nor the impeachment exceptions applied, and admitting the evidence was error. The judgment was reversed, and the case was remanded for a new trial without the improper evidence.
What is the reasoning?
The court emphasized the core policies behind Rule 5-407: encouraging safety improvements, avoiding juror confusion between prudence and hindsight, and preventing unfair prejudice. Allowing plaintiffs to impeach by pointing to later policy changes anytime a defendant asserts the reasonableness of earlier conduct would eviscerate the rule, because defendants in negligence cases invariably claim they acted reasonably. The impeachment exception must therefore be limited to situations where the defendant makes a specific factual assertion—such as claiming a measure was not feasible or would not work—that the subsequent measure directly contradicts. Here, Dr. McDonald did not contend that continuing heparin was impossible or infeasible; rather, he explained that, at the time, medical judgment required balancing the thrombotic risk of discontinuation against the bleeding risk if anticoagulation continued into the procedure. That clinical judgment was not a factual claim the later protocol contradicted. The hospital's later decision to continue heparin until arrival at the lab reflected a changed assessment or greater caution after the incident, not an admission that the earlier approach was negligent. Because the defense did not place feasibility in dispute, the feasibility exception did not apply. And because the doctor's testimony did not contain a contradiction susceptible to proper impeachment by the later change, the impeachment exception did not apply either. Permitting the jury to hear about the protocol change risked exactly the sort of hindsight bias Rule 5-407 is designed to prevent, making the error prejudicial.
Why is this case significant?
Tuer v. McDonald is a staple for understanding subsequent remedial measures in professional negligence cases. It teaches that courts will police the boundary between proper impeachment and improper use of later changes to imply earlier negligence. For practitioners, it cautions against assuming that any post-incident policy change can be smuggled in as impeachment; the door opens only when a defendant makes a concrete, contradictory factual claim or disputes feasibility. For students, Tuer is an exemplar of policy-driven evidentiary interpretation and shows how evidentiary rules interlock with the standard-of-care analysis in medical malpractice.
What is a subsequent remedial measure, and why is it generally inadmissible?
A subsequent remedial measure is an action taken after an injury or harm that would have made the prior event less likely—such as changing a protocol, installing a guard, or issuing a warning. Rule 5-407/FRE 407 excludes such evidence when offered to prove negligence or culpable conduct. The policy is to encourage entities to improve safety without fearing that their changes will be used against them as admissions of prior fault, and to reduce hindsight bias and juror confusion.
When does the impeachment exception to Rule 5-407 apply?
The impeachment exception applies narrowly. It permits use of a subsequent remedial measure only to contradict a specific factual assertion made by the witness—e.g., that a safety device could not be installed or would not work. It does not apply merely because a defendant claims earlier conduct was reasonable. In Tuer, the physician's testimony expressed a risk-benefit judgment; the later protocol change did not directly contradict a factual claim and thus was not proper impeachment.
What is the feasibility exception, and why didn't it help the plaintiff in Tuer?
Feasibility refers to whether a precaution could have been implemented at the time (technically, economically, or practically). The exception applies only if feasibility is actually controverted by the defense. In Tuer, the defense did not argue that continuing heparin until the lab was infeasible; it argued that, at the time, the bleeding risks outweighed the benefits. Because feasibility was not disputed, the exception did not apply.
How does Tuer interact with medical malpractice standards of care?
Tuer underscores that standards of care in medicine often entail professional judgment and risk-balancing. Evidence rules prevent plaintiffs from using later, more conservative practices to imply prior negligence. Plaintiffs must prove breach through expert testimony about the standard of care at the time and the defendant's deviation from it, not by pointing to later changes in protocol.
What practical lessons does Tuer offer for trial strategy?
For defendants, avoid gratuitous claims (e.g., absolute infeasibility) that could trigger exceptions, and frame testimony in terms of contemporaneous clinical judgment. For plaintiffs, develop standard-of-care evidence through experts and literature from the time of the incident. If considering Rule 5-407 evidence, be prepared to show a true contradiction or a live dispute over feasibility; otherwise, the evidence risks exclusion and, if admitted, reversible error.