EDMUND G. BROWN JR., Attorney General 2 … G. BROWN JR., Attorney General of the State of...

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EDMUND G. BROWN JR., Attorney General of the State of California 2 JOSE R. GUERRERO Supervising Deputy Attorney General 3 BRENDA P. REYES, State Bar No. 1297 18 Deputy Attorney General 4 455 Golden Gate A ve nu e, Suite 11000 San Francisco, CA 94102-7004 5 Telef)hone: (41 5) 703-5541 Facsimi le: (415) 703-5480 6 E-mail: [email protected] 7 Attorneys for Comp lainant 8 9 10 11 BEFORE TH E MEDICAL BOARD OF CA LI FORN IA DEPARTMENT OF CONSUMER AFFAIRS STATE OF CALIFORNIA 12 In th e Matter of the Accusation Agatnst: 13 KENNETH R. GEIGER, M.D. 181 Andrieux Street, Suite 106 14 Sonoma, California 95476 15 Physician and Surgeon's Certificate No. G 55346 16 Respondent. 17 18 Case No. 12-2006-172659 STIPULATED SURRENDER OF PHYSICIAN'S AND SURGEON'S CERTIFICATE AND ORDER 19 IT IS HEREBY STIPULATED by and between KENNETH R. GEIGER, M.D., with the 20 advice and counsel of his attorneys, and complainant BARBARA JOHNSTON, in her official 21 capacity as Executi ve Director of the Medical Board of Ca li fornia ("Medical Board" or "Board"), 22 by and through her attorney, Ed mund G. Brown Jr., Attorney Ge neral, by Brenda P. Reyes, 23 Deputy Attorney General, as fo llows: 24 1. Complainant is the Execu ti ve Director of the Medical Board of California and 25 brought th e Accusation in case No. 12-2006 -1 72659 solely in her official capacity. A copy of the 26 Accusa ti on in case No . 12-2006- 172659 is attached hereto as Ex hibit A and in corporated by 27 ref erence in this Stipulated Surrender of Phys ician's and Surgeo n's Certificate ("Stip ul ati o'.1"). 28 Complain ant enters into this agreement solely in her officia l capac it y. STIPULATED SURRENDER OF CERT. -1 - CASENO. 12-2006-172659

Transcript of EDMUND G. BROWN JR., Attorney General 2 … G. BROWN JR., Attorney General of the State of...

EDMUND G. BROWN JR., Attorney General of the State of California

2 JOSE R. GUERRERO Supervising Deputy Attorney General

3 BRENDA P. REYES, State Bar No. 129718 Deputy Attorney General

4 455 Golden Gate A venue, Suite 11000 San Francisco, CA 94102-7004

5 Telef)hone: (41 5) 703-5541 Facsimi le: ( 415) 703-5480

6 E-mail: [email protected]

7 Attorneys for Complainant

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BEFORE THE MEDICAL BOARD OF CALIFORNIA

DEPARTMENT OF CONSUMER AFFAIRS STATE OF CALIFORNIA

12 In the Matter of the Accusation Agatnst:

13 KENNETH R. GEIGER, M.D. 181 Andrieux Street, Suite 106

14 Sonoma, California 95476

15 Physician and Surgeon's Certificate No. G 55346

16 Respondent.

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Case No. 12-2006-172659

STIPULATED SURRENDER OF PHYSICIAN'S AND SURGEON'S CERTIFICATE AND ORDER

19 IT IS HEREBY STIPULATED by and between KENNETH R. GEIGER, M.D., with the

20 advice and counsel of his attorneys, and complainant BARBARA JOHNSTON, in her official

21 capacity as Executive Director of the Medical Board of Cali fornia ("Medical Board" or "Board"),

22 by and through her attorney, Edmund G. Brown Jr. , Attorney General, by Brenda P. Reyes,

23 Deputy Attorney General, as fo llows:

24 1. Complainant is the Executive Director of the Medical Board of California and

25 brought the Accusation in case No. 12-2006-1 72659 solely in her official capacity. A copy of the

26 Accusation in case No. 12-2006- 172659 is attached hereto as Exhibit A and incorporated by

27 reference in this Stipulated Surrender of Physician's and Surgeon 's Certificate ("Stipulatio'.1").

28 Complainant enters into this agreement solely in her officia l capacity.

STIPULATED SURRENDER OF CERT. -1 - CASENO. 12-2006-172659

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2. Kermeth R. Geiger, M.D. ("respondent" or "Dr. Geiger") is represented in this

proceeding by John A. Etchevers, Esq., of the law firm Hassard Bonnington, LLP, whose address

is Two Embarcadero Center, Suite 1800, San Francisco, CA 94 1 11-3933.

3. Respondent's license history and status, as set forth in paragraph 2 of the

Accusation is true and correct.

4. Respondent has received and careful ly read the Accusation which Complainant

proposes to fil e with the Medical Board.

5. Respondent has fully discussed with his counsel and understands the nature of the

charges alleged in the Accusation and that those charges and all egations, if proved, would

constitute cause for imposing di scipline upon his phys ician's and surgeon's certificate.

6. Respondent is fully aware of his lega l rights in this matter, including the right to a

hearing on the charges and allegations contained in the Accusation; the right to confront and to

cross-examine witnesses against him; the right to present evidence and to testify on his own

behalf; the right to issuance of subpoenas to compel the attendance of witnesses and the

production of documents ; the right to reconsideration, judicial review, and appeal of an adverse

decision; and, any and all other rights wh ich may be accorded him pursuant to the California

Administrative Procedure Act (Govt. Code,§ 11500, et seq.) and other la~s of the State of

California .

7. R espondent hereby freely, voluntarily, and knowingly waives each and every right

set forth above in exchange for the parties' agreement to enter into this Stipulation.

8. Any and all admiss ions of fact and conclusions bf law contained in this

22 Stipulation are made exclusively for the purposes of settlement and compromise of this

23 proceeding and any future proceedings in wh ich the Board or o ther professional licensing agency

24 is involved and shall not be deemed to be admissions for any purpose in any other civil or

25 criminal proceeding.

26 9. Respondent desires to cooperate in this matter, and he agrees that it is in the best

27 interest of all parties if he agrees not to practice medicine and surrenders his license at this time.

28 T~erefore , in order to avoid the expense and uncertainty of an admi nistrative hearing, respondent

STIPULATED SURRENDER OF CERT. -2- CASE NO. 12-2006-172659

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desires and agrees to surrender his California physician's and surgeon's certificate to the Board,

thereby relinquishi ng hi s right to practi ce medicine in the State of California.

10. Respondent understands that by signing this Stipulation he is enabling the

Medical Board of California to issue its order accepting the surrender of his license without

fu1i her process. Upon acceptance of thi s Stipulation by the Board , respondent understands that

he will no longer be pem1itted to practi ce as a physician and surgeon in the State of California,

and he agrees to surrender and cause to be delivered to the Board both his li cense and wallet

certificates no later than the effective date of this decision.

11. Respondent full y understands and agrees that should he in the future file an

application for renewal, relicensure, or reinstatement of hi s certificate, the Board shall treat it as a

petition for reinstatement, and respondent must comply with all laws, regulations and procedures

for reinstatement of a revoked license in effect at the time the peti tion is filed. Respondent ~lso

agrees that, upon the fil ing of any peti ti on for reinstatement, as a condition precedent to the

consideration of such petition by the Board, he will be required , at his own expense, to submit to

a comprehensive health assessment consisting of a physical exa111in ation conducted by a

physician approved by the Board and a psychiatric evaluation (with neuropsychological testing, if

deemed necessary) by a psychiatiist approved by the Board. Respondent shall pay the costs of

this assessment. TI1e Board may consider the results of this assessment in determining whether

to grant reinstatement of his certificate. Should respondent seek reinstatement, the Board

reserves the right to grant or deny reinstatement on the basis of respondent's medical condition.

The Board also expressly reserves the right to issue respondent a probationary certificate on

terms and condi tions within its discretion as deemed appropriate to his medical condition.

12. Respondent further understands and agrees that should he in the future petition for

reinstatement of his certificate, the Board may consider the matetials included in the Board 's

investigation in Case No. 12-2006-1 72659. For purposes of the reinstatement hearing, as earlier

stipulated in Paragraph 8, above, the allegations contained in Accusation No. 12-2006- 172659,

shall be deemed to be admitted by respondent, and respondent hereby waives any time-based

defenses based on a clai m of !aches or the statute of limitations.

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13. In consjderatioo for the above, the Board agrees to accept the surrender of Dr.

Geiger's Physician's and Surgeon's Certificate No. G 55346 upon the terms and conditions

specified above.

CONTINGENCY

14. Th.is Stipulation shall be subject to the approval of the Board. Respondent

understands and agrees that Board staff and counsel for complainant may communicate directly

with the Board regarding this Stipulation, without notice to or participation by respondent. lf the

Board fails to adopt this Stipulation as its order for any reason, the Stipulation, except for this

paragraph, shall be of no force or effect. The Stipulation shall be inadmissible in any legal action

between the parties and the Board shall not be disqualified from fi.rrther action by virtue of its

consideration this Stipulation.

15. The parties agree that facsimile copies of this Stipulation, including facsimile

signatures on it, shall have the same force and effect as the original Stipulation and signatures ..

ACCEPTANCE

I have read the above Stipulated Surrender of Physician's and Surgeon's Certificate, and

have fully discussed the tenns with my attorney, John Etchevers, Esq. With full knowledge of

the force and effect of this Stipulation, I do hereby agree to surrender my Physician's and

Surgeon's Certificate No. G 55346 to the Medical Board of California for its formal acceptance.

By signing this Stipulation to surrender my license, I recognize that upon its formal acceptance

by the Board, I will 1ose all rights and privileges to practice as a physician and surgeon in the

State of California. I hereby agree to cause to be delivered to the Board both my license and wall

certificates no later than the effective date of this decision.

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STIJYULA TED SURRENDER OF CERT. -4- CASE NO. 12-2006-172659

1 1 have read and fully discussed with Respondent Kenneth Geiger, M.D., the terms and

2 conditions and all related matters contained in this Stipulated Surrender of Physician's and

3 Surgeon's Certificate and Order. 1 approve its form and content.

4 . ;:,/c.,,, 5 DATED: --f'/;~--c,,,,__~...>.L....-"L'----6 HASSARD BONNINGTON, LLP

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11 ENDORSEMENT

12 The foregoing Stipulated Surrender of Physician's and Surgeon's Certificate and

· 13 Order is hereby respectfully submitted for consideration by the Medical Board of California.

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STIPULATED SURRENDER OF CERT.

EDMUND G. BROWN JR., Attorney General of the State of California

JOSE R. GUERRERO Supervising Deputy Attorney General

B~f¥ Deputy Attorney General . ·

Attorneys for Complainant

-5- CASE NO. l 2-2006-1 72659

Exhibit A MBC Case No. 12-2006-172659

•,• :1

EDMUND G. BROWN JR., Attorney General of the State of California

2 JOSE R. GUERRERO Supervising D~puty Attorney General

3 ·BRENDA P. REYES, State Bar No. 129718 Deputy Attorney General

4 455 Golden Gate Avenue, Suite 11000 San Francisco, CA 94102-7004

5 Telephone: (415)703-.5541 Facsimile: ( 415) 703-5480

6 E-rrrnil : [email protected]

7 Attorneys for Complainant

8 BEFORE THE MEDICAL BOARD OF CALIFORNIA

9 DEPARTMENT OF CONSUMER AFFAIRS STATE OF CALIFORNIA

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11 In the Matter of the Accusation Against:

J 2 KENNETH R. GEIGER, M.D. 181 Andrieux Street, Suite 106

13 Sonoma, California 95476

14 Physician's and Surgeon's Certificate No. G 55346

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Complainant alleges:

Respondent.

PARTIES

Case No. l 2-2006-172659

ACCUSATION

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·20 1. Barbara Johnston (Complainant) brings this Accusation solely in her

21 official capacity as the Ex.e::cutive Director of the Medical Board of California (Board),

22 Department of Consumer Affairs.

23 2. On or about July 16, 1985, the Medical Board of California issued Physician's

24 ahd Surgeon's Certificate Number G 55346 to Kenneth R. Geiger, M.D. (Respondent). At all times

25 _relevant to the charges brought herein this license has been in full force and effect. Unless renewed,

26 the certificate wil_~ expire on February 28, 2009. There is no Board record of previous disciplinary

27 action having been taken against this certificate .

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JURISDICTION

2 3. This Accusation is brought before the Medical Board of California,

3 Department of Consumer Affairs, under the authority of the following laws. All section references

4 are to the Bt!siness and Professions Code unless otherwise indicated.

5 4. Section 2004 of the Code provides, inter alia, that the Board is responsible

6 for the administration and hearing of disciplinary actions involving enforcement of the Medical )

7 Practice Act (§§ 2000, et seq.) and the carrying out disciplinary actions appropriate to fi.ndings made

8 by a medical quality review committee, the Board, or an administrative law judge with respect to the

9 quality of medical practice carried out by physician and surgeon certificate holders.

10 . 5. Section 2227 of the Code provides, in pertinent part, that a licensee who is ' .

11 · found guilty under the Medical Practice Act may have his or her license revoked, suspended for a

12 period not to exceed one year, placed on probation and required to pay the costs of probation

13 monito1ing, or such other action taken in relation to discipline as the Division deems proper.

14 6. Section 822 of the Code provides that if a licensing agency detennines that

15 a licentiate's· ability to practice his or her profession safely is impaired because !he li~encee is

16 mentally ill , or has a physical illness affecting his or her competency, the licensing agency may take '

17 actfon by revoking the licentiate's certificate or license or by ~aking such other actjon as the licensing

1.8 agency in its discretion deems proper.

19 FIRST CAUSE FOR DISCIPLINARY ACTION

20 (Illness Affecting Respondent '.s Ability to Practice Medicine Safely) ,·

21 7. Dr. Geiger recently agreed to a voluntary medical evaluation. The evaluator

22 ·concluded that Dr. Geiger suffers from an illness that impairs his ability to practice medicine with

23 safety to the public.

24 8. This illness provide~ . a basis for action against D_r. Geiger'_s California /

25 physician's and surgeon's certificate pursuant to Business and Professions Code section 822 . .

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PRAYER

2 WHEREFORE, Complainant requests that a hearing be held on the matters herein

3 alleged, and that followi ng the hearing, the Medical Board of California issue a decisio_n:

4 I. Revoking or suspending Physician's and Surgeon's Certificate Number

5 G 55346, issued to Kenneth R. Geiger, M.D.;

6 2. Revoking, suspending or denying approval of Kenneth R. Geiger, M.D.'s

7 authority to supervise physician's assistants, pursuant to section 3 527 of the Code;

8 3: Ordering Kenneth R. Geiger, M.D., if placed on probation, to pay the costs

· 9 of probation monitoring; and,

10 4. Talcing such other and further action as deemed necessary and proper.

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Executiv irector Medical.Board of California· Department of Consumer Affairs State of California Complainant

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