Marcus Weatherby#4802

Marcus Weatherby

Marcus is a partner at Pattinson and Brewer Solicitors specialising in serious injury work for Claimants. He has considerable experience acting in all types of personal injury work including clinical negligence, major catastrophic injury/disability, and notably spinal injuries. He settled a spinal case in 2012 for £4.1 million.

Marcus has a particular interest in industrial disease claims, acting for victims of asbestosis and mesothelioma.

Reported Court of Appeal cases include Anderson v Newham College of Education on contributory negligence.
Contributed to

17

ADR in clinical negligence claims
ADR in clinical negligence claims
Practice notes

This Practice Note covers alternative dispute resolution and specific considerations in clinical negligence matters. It considers the pre-action protocols, model directions, mediation and practical tips. It also looks at the pros and cons of ADR and when it is appropriate.

Cancer clinical negligence claims
Cancer clinical negligence claims
Practice notes

This Practice Note provides an overview of clinical negligence claims arising from oncology which deals with the diagnosis and treatment of cancer. It focuses on common issues that arise including breach of duty, causation, the type of expert needed and valuing damages. It also provides practical tips for dealing with these types of claim.

Clinical negligence claims arising from GP treatment
Clinical negligence claims arising from GP treatment
Practice notes

This Practice Note provides an overview of clinical negligence claims relating to treatment within a general practice setting. It explains the role of the GP and the primary care services provided by the practice. The Practice Note also looks at common types of claim, the complexities of claims relating to GP practice and what to look out for.

Clinical negligence claims involving A&E treatment
Clinical negligence claims involving A&E treatment
Practice notes

This Practice Note deals with clinical negligence claims relating to treatment received in an accident and emergency (A&E) department. It covers key issues in an emergency medicine setting, common types of claims, complicating factors and expert evidence considerations.

Alternative short letter to expert requesting costs budgeting information
Alternative short letter to expert requesting costs budgeting information
Precedents

This precedent can be used by claimant or defendant representatives when requesting costs budgeting information from their expert.

Detailed letter of instruction to a personal injury medical expert
Detailed letter of instruction to a personal injury medical expert
Precedents

This Precedent is a detailed letter of instruction to a medical expert in a personal injury matter requesting a medical report dealing with any relevant pre-accident medical history, the injuries sustained, treatment received and present condition, dealing in particular with the capacity for work and giving a prognosis. It includes specific scenarios by way of example but can be adapted for the particular circumstances of the case.

Invitation to engage in mediation planning—clinical negligence and personal injury
Invitation to engage in mediation planning—clinical negligence and personal injury
Precedents

This Precedent letter is an invitation to engage in mediation planning, including narrowing issues and disclosure.

Invitation to mediate, clinical negligence or personal injury—straightforward case
Invitation to mediate, clinical negligence or personal injury—straightforward case
Precedents

This letter is an invitation to mediate, or engage in other ADR, in the context of a straightforward clinical negligence or personal injury case.

Invitations to mediate at various stages of a personal injury or clinical negligence matter
Invitations to mediate at various stages of a personal injury or clinical negligence matter
Precedents

This Precedent comprises a series of invitations to mediate at various stages of a clinical negligence or personal injury matter, for instance pre- and post-issue, post-case management conference and pre-trial.

Letter advising expert of forthcoming case management conference and asking for details for costs budgeting and timetabling
Letter advising expert of forthcoming case management conference and asking for details for costs budgeting and timetabling
Precedents

This precedent letter is to an expert in a personal injury matter advising them of an upcoming case management conference (CMC) for the purposes of obtaining costs budgeting information and setting the court timetable

Letter advising expert of outcome of case management conference and providing future timetable
Letter advising expert of outcome of case management conference and providing future timetable
Precedents

This Precedent letter is to an expert in a personal injury matter advising them of the outcome of a case management conference (CMC) and of the timetable for the case.

Letter of instruction to costs draftsman to prepare a costs budget
Letter of instruction to costs draftsman to prepare a costs budget
Precedents

This precedent is a letter of instruction to a costs draftsman which sets out all the details required to prepare a costs budget in a clinical negligence claim.

Letter to claimant client advising what will happen at mediation—clinical negligence and personal injury
Letter to claimant client advising what will happen at mediation—clinical negligence and personal injury
Precedents

This Precedent letter is to advise your client in a clinical negligence or personal injury matter about what they can expect from a mediation.

Letter to expert in a personal injury matter regarding joint expert discussions
Letter to expert in a personal injury matter regarding joint expert discussions
Precedents

This Precedent letter is to an expert in a personal injury matter regarding expert discussions. It sets out the purpose of the discussions and the experts duties along with guidance and advice on format of the discussions.

Letter to expert requesting costs budgeting information
Letter to expert requesting costs budgeting information
Precedents

This precedent can be used by either claimant or defendant representatives when requesting costs budgeting information from their expert.

Mediation directions and draft orders—personal injury and clinical negligence
Mediation directions and draft orders—personal injury and clinical negligence
Precedents

This Precedent is for post-issue suggested mediation directions and provision for mediation within costs budget.

Practice Area

Panels

  • Consulting Editorial Board
  • Contributing Author

Qualified Year

  • 1996

Membership

  • APIL
  • PEOPIL
  • Multidisciplinary Association of Spinal Cord Injury Professionals (MASCIP)

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