Supreme Court of Connecticut
Osborn v. Waterbury
December 3, 2019333 Conn. 816
Summary
The dissent would have affirmed the conclusion that expert testimony was required to establish the standard of care and breach in the negligent-supervision claim. It reasoned that determining the appropriate number of playground supervisors involves professional procedures, discretionary judgments, and contextual factors beyond ordinary fact-finder knowledge. The dissent also rejected the plaintiffs’ argument that they were entitled to notice that expert testimony was necessary.