Charges
Filed Against Tiller
Ask yourself: Does the
following qualify as a “documented referral from another physician”?
Attorney General Paul Morrison dropped the 30 charges filed
against Dr. George Tiller by former Attorney General Phill Kline in 2006.
Instead, he filed 19 misdemeanor charges against Tiller for violating the law
concerning the second physician who is supposed to confirm the need for a
post-viable abortion.
The law states:
K.S.A.
65-6703. Abortion prohibited when
fetus viable, exceptions; determination of age of fetus; determination of
viability; reports; retention of medical records; viable, defined; criminal
penalties.
(a)
No person shall perform or induce an abortion when the fetus is viable unless
such person is a physician and has a documented referral from another
physician not legally or financially affiliated with the physician
performing or inducing the abortion and both physicians determine that:
(1)
The abortion is necessary to preserve the life of the pregnant woman; or
(2)
A continuation of the pregnancy will cause a substantial and irreversible
impairment of a major bodily function of the pregnant woman.
Since at least 2003, Ann K. Neuhaus, M.D., has been
confirming Tiller’s diagnosis for post-viable abortions. She confirms that
there is a “substantial and irreversible impairment of a major bodily function
of the pregnant woman”.
Ann Neuhaus was investigated by the Kansas Board of Healing
Arts for several years in the late 90’s and 2000 to 2003. The Board said she
was “A danger to the public”. (Below is the timeline for Ann Neuhaus’
activity in Kansas leading up to 2003.)
As far as can be determined, Ann Neuhaus’ sole practice
and source of income is as the referring physician confirming a diagnosis for a
post-viable abortion at Tiller’s Women’s Health Care Services.
Timeline: Kansas State
Board of Healing Arts in the Matter of Ann K. Neuhaus, M.D. (Lic. 04-21596)
June 29,
1993- First record of Neuhaus practicing
in Topeka (License application renewal for 1993-1994).
Jan. 18,
1994- Neuhaus, medical director of
abortion clinic in KCK, locks herself and 5 employees in clinic, because of a
dispute with employee Malcolm Knarr. (See Topeka Capital Journal article, 1-19-94)
June 30,
1996- last Kansas license application
renewal for Neuhaus with clean disciplinary record.
Oct. 18,
1999- KBHA STIPULATION, AGREEMENT &
ENFORCEMENT ORDER Neuhaus breaks DEA regulations for controlled substances
including failure to keep complete and accurate records. Board restricts her to
use of only 1 drug (Valium) and requires administration log with duplicate
prescription copies reviewed monthly by outside pharmacist. They
also order random drug testing of her entire staff & security guards and
that Neuhaus not hire anyone with a substance abuse history.
Aug. 12,
2000- KBHA MEETING, Administrative
proceeding V, closed session to discuss refusal to grant Neuhaus’ request for
permission to use additional drug. Issue emergency order classifying
Neuhaus as imminent danger to public (pg2).
Aug. 14,
2000- FINAL ORDER:
Board reacts to Neuhaus’ testimony that she relies heavily on staff to manage
complications; that she is not certified in cardiac life support; that she
neglects to insert IV lines during sedation.
Aug. 29,
2000- KBHA EMERGENCY ORDER-states that Neuhaus
is a danger to the public (pg 5), an immediate threat, not limited
to the likelihood of patient injury; she is not following the standards of
care for non-anesthesiologists when giving sedation. Specifically,
she omits the following: a proper patient history (including adverse drug
reactions), focused exam, monitoring of vital signs, patient dismissal
evaluation & an accurate medication record.
Sept.
7, 2000- KBHA RESPONSE from counsel issued
to Neuhaus request to terminate limitations. Request is without
comprehensive account of how she exactly plans to address deviations of
standards of care. There is no evidence that Neuhaus’ staff is competent in
resuscitation. Board requests a hearing and monitoring of Neuhaus
concerning deviations of care.
Sept.
11, 2000- KBHA TERMINATION OF EMERGENCY
ORDER: Neuhaus promises to complete a course in Advanced Cardiac Life Support
training and staff will complete basic Life Support course; Board will monitor
compliance. Allowed back in full practice.
Dec.
4, 2000-
PETITION TO REVOKE, SUSPEND or OTHERWISE LIMIT LICENSE: Patients A.B. &
S.D. were not evaluated, examined, monitored, recorded & discharged
properly; informed consent gestational information not conveyed to them 24 hrs.
prior to procedure. Patients C.L. & H.S. allege all the same
as A.B. & S.D. plus failure to obtain written documents. Patient A.G.
gave limited consent to abortion without sedation. When she withdrew
consent and tried to leave, Neuhaus & staff sedated her and aborted
her. A.G.’s informed consent was violated and all the proper protocols
omitted from the above patients were also omitted from her. Neuhaus kept
unmarked pre-drawn syringes in her practice, contrary to standards of care.
Feb. 2,
2001- AMENDED PETITION restates Dec.4
petition with minor correction
March
15, 2001- MOTION TO CONTINUE April 11-13
hearing, based on an undocumented, non-specific “threat” coupled with the
assertion that Neuhaus had experienced hostilities in a prior Holy Week.
That such assertion is patently false as can be demonstrated from KBHA records
along with police & media reports. (See attached letter from KFL to KBHA.)
April 4,
2001- MOTION GRANTED, continued until June 20-21, 2001
April
28, 2001- Settlement offer to avoid trial
presented (per Mark Stafford, Disciplinary Counsel.)
May 10,
2001- Neuhaus announces closing Wichita office
June 15,
2001- AGREED INITIAL ORDER maintains the
facts and conclusions of 8/29/00 and 9/11/00 that Neuhaus deviated from the standard of care regarding informed consent, sedation and monitoring of patients.
The limitations described on 10/18/99 remain in force, such that Neuhaus must:
1) dedicate one staffer to monitoring sedation and addressing emergencies;
2) improve record-keeping;
3) have a printed, dated sonogram as part of every medical record;
4) improve the informed consent form, and have it signed, dated, timed and
witnessed during appointment for procedures;
5) meet with patients outside of procedure room, reviewing informed consent
prior to patient’s physical preparation for procedure.
Aug. 24,
2001- FINAL ORDER. Board adopts June 15, 2001 order as final
Sept.
10, 2002- Neuhaus announces closing Lawrence office
March 3,
2003- Neuhaus’ patient medical records
put into temporary storage in Lawrence
Timeline:
Dr. Neuhaus’ office practice: Notes from Kansas license renewals 2002-2008
July
2002- June 2003
Mailing
address: PO Box 605, Lawrence KS 66044-0605
Residence
address: 1228
Westloop 127, Manhattan KS 66502
Location
of practice: 205
W.8th, Lawrence KS 66044
NOTE about location of
medical practice. After Neuhaus closed her last abortion office in September
2002, none of her state license renewals from 2003 through 2007
indicate a genuine physical medical practice location! In fact, the very
peculiar choice of description of her medical practice on her 2003 renewal,
begs the question of whether she thought she could skirt the law. Kansas abortion statute
65-6703 warns that post-viable abortions must NOT use referrals between
physicians that are legally or financially affiliated. Yet Neuhaus takes pain
to describe her professional activities as not violating a prohibition that is
very rarely known by physicians.
July
2003- June 2004
Mailing
address: PO Box 605, Lawrence KS 66044-0605
Residence
address: (blocked
by Board staff)
Location
of practice: “None
-- make only consultation “calls” to another office with which I am not
affiliated – I have no practice location now (my office is at home but no pt
(sic=patient) consults there”
Disciplinary
section: “I did
surrender DEA license due to no office site (required to maintain liicense)”
July
2004- June 2005 (online
renewal)
Mailing
address: 1228 Westloop 127, Manhattan, KS 66502
Residence
address: 1228
Westloop 127, Manhattan KS 66502
Location
of practice: Post
Office 605, Lawrence 66044
Work
setting: Individual
Practitioner office
How many
patients per week:
5
July
2005- June 2006 (online
renewal)
Mailing
address: 1228 Westloop 127, Manhattan, KS 66502
Residence
address: (blocked
by Board staff)
Location
of practice: Post
Office 605, Lawrence 66044
Work
setting: Individual
Practitioner office
How many
patients per week:
5
July
2006- June 2007 (online
renewal)
Mailing
address: 1228 Westloop 127, Manhattan, KS 66502
Residence
address: (blocked
by Board staff)
Location
of practice: Post
Office 605, Lawrence 66044,
Work
setting:
Self-employed, solo practice
How many
patients per week:
5
NOTE: Prior to Neuhaus’ summer 2007 renewal (below), George Tiller had
been criminally charged with using Neuhaus as his “rubberstamp” referral. An
online account said she had testified that she went to Tiller’s physical
premises to meet with, and receive payment from, Tiller’s patients. The
resulting state license renewal gives an actual street address for her medical
practice, although no information is known about the nature of this practice
location.
July
2007-2008 (online
renewal)
Mailing
address: 17127 Osage Rd, Nortonville 66060
Residence
address: (street
address blocked by Board staff) Nortonville
Location
of practice: 17127 Osage Rd , Nortonville 66060
Work
setting:
Self-employed, solo practice
How many
patients per week:
5