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Tags
#duty #law #negligence #tort
Question
In Palmer v Tees Health Authority, the claimant argued that a local Mental Health Authority owed her a duty (and had, subsequently, breached this duty) in allowing a psychiatric patient into the community without adequate supervision. The patient had previously threatened to kill a child and subsequently attacked and killed the claimant’s daughter. The Court of Appeal, following Hill, stated that there was not sufficient proximity between the parties for a duty to exist. She was not [...] and there was nothing that the defendants could have reasonably done to prevent the incident occurring.
Answer
an identifiable potential victim

Tags
#duty #law #negligence #tort
Question
In Palmer v Tees Health Authority, the claimant argued that a local Mental Health Authority owed her a duty (and had, subsequently, breached this duty) in allowing a psychiatric patient into the community without adequate supervision. The patient had previously threatened to kill a child and subsequently attacked and killed the claimant’s daughter. The Court of Appeal, following Hill, stated that there was not sufficient proximity between the parties for a duty to exist. She was not [...] and there was nothing that the defendants could have reasonably done to prevent the incident occurring.
Answer
?

Tags
#duty #law #negligence #tort
Question
In Palmer v Tees Health Authority, the claimant argued that a local Mental Health Authority owed her a duty (and had, subsequently, breached this duty) in allowing a psychiatric patient into the community without adequate supervision. The patient had previously threatened to kill a child and subsequently attacked and killed the claimant’s daughter. The Court of Appeal, following Hill, stated that there was not sufficient proximity between the parties for a duty to exist. She was not [...] and there was nothing that the defendants could have reasonably done to prevent the incident occurring.
Answer
an identifiable potential victim
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had previously threatened to kill a child and subsequently attacked and killed the claimant’s daughter. The Court of Appeal, following Hill, stated that there was not sufficient proximity between the parties for a duty to exist. She was not <span>an identifiable potential victim and there was nothing that the defendants could have reasonably done to prevent the incident occurring.<span><body><html>

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