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On 29 November 1997 at
10:15 A.M., Shashi B. Gore, MD performed autopsy on Alan Ream Yurko,
wherein he attributed the cause of death to subdural hematoma (SDH)
due to Shaken Baby Syndrome (SBS), and the manner of death a
homicide. This Complaint surrounds the autopsy report and procedure
as well as Dr. Gores testimony and role in the connected criminal
proceedings.
Attached to this
Complaint in the form of a compact disc are copies of the autopsy
report, hospital records, trial transcripts, and other relevant
data. It is alleged that Dr. Gore performed a substandard autopsy,
cross-contaminated data and tissue from another case, provided
numerous erroneous facts and false testimony in a First-Degree
Murder Trial, and altered evidence after trial to deflect attention
from his errors.
Perusal of the autopsy
report will verify the facts enumerated below.
1.) Page 1 and page 3
state decedent was two months old, whereas decedent was (10) weeks
old.
2.) Page 2 states there
were no hemorrhages at the thoracic, lumbar, or sacral spine,
whereas page 7 states that there are hemorrhages in the lower
thoracic, lumber, and sacral spine.
3.) Page 6 states that
head circumference is 22 cm, whereas decedent was born with a 31.5
cm head, and just prior to autopsy, decedent is noted to have a 37.5
cm head.
4.) Page 9 has a
description of microscopic examination of inner heart muscle tissue,
whereas pages 2 & 5 state that the heart was surgically absent as a
result of organ harvesting. Special Procedures on page 6 notes that
blood was obtained at harvesting, but no heart tissue. TransLife
records do not indicate tissue samples saved for the ME. Tissue
blocks on file at Dr. Gores office do not contain a heart sample.
The expert for the defense in the subsequent criminal trial noted in
testimony that heart tissue slides were not included in the set.
Tissue samples of myocardium are not logical for donor organs. The
heart was successfully transplanted.
5.) Page 6 notes a
normocephalic head, whereas hospital records note swelling, bulging
fontanelle, and visible edemic/macrocephalic conditions prior to
autopsy. As well, a 22 cm head circumference on a 9 lb. baby would
indicate a microcephalic head.
6.) Page 4 notes a
contusion of the left lateral surface of the chest, whereas page 8
states that the skin does not show any subcutaneous contusions of
the buttocks, chest or abdomen. Yet, elsewhere on page 8, a chest
contusion is noted.
7.) No toxicology,
virology or bacteriology testing was ordered by Dr. Gore.
8.) Page 10 notes that
decedent was a 2 month-old black male, whereas he was a 10 week-old
white male.
9.) After the criminal
trial, Dr. Gore altered his report to state the correct race without
notice to the courts or involved parties, and thus altered evidence
in criminal proceedings. Dr. Gore testified that the mistake was a
typographical error; however, it should be noted that there are no
letters in the word black that are in the word white. (TT Vol.
III p.272; 24 thru p.273; 23)
10.) Dr. Gore testified
that he did not seek or review medical history of the decedent,
which would have revealed a 75-hour course of heparin overdose in an
absolutely contraindicated setting (decedent had received
iatrogenically 1095 IUs of heparin every five hours, whereas maximum
dosage for this infant, according to the Physicians Desk
Reference (2002 and 1997 editions), is only 125 IUs of heparin
every five hours; and, as stated, heparin was absolutely
contraindicated due to the high risk of hemorrhage. Furthermore, had
Dr. Gore properly investigated, he would have seen that CT scans
revealed only an antemortem intracranial hemorrhage, 10 hours post
terminal hospital course admission. As well, the CT scans revealed
only one tiny subdural hemorrhage occurring in hospital.
Therefore, the bilaterality and inclusion of subarachnoid
hemorrhages indicate that these hemorrhages occurred during the
hospital course and could not have been SBS, but were a result of
absolutely contraindicated over-heparinization, infused at 8.8 times
maximum recommended allowances.
11.) Dr. Gore testified
that he did not, nor did his office, interview the caretakers or get
the medical history/records of the infantnecessary procedures in
diagnosing SBS. Dr. Gore admitted that this was necessary to make
the diagnosis, yet made the diagnosis despite it. (TT Vol. III pp.
246; 20 thru 254; 2)
12.) Dr. Gore testified
that he removed the heart, lungs and all the organs, whereas
TransLife removed the heart, liver, pancreas, spleen and other
organs. (TT Vol. III p.218; 14-17, p.246; 2-5 & p.277; 20-23)
13.) Dr. Gore testified
that he observed Diffuse Axonal Injury (DAI) in the decedent;
however, the autopsy report makes no mention of DAI. (TT Vol. III
p.280; 2-25, p.281; 1-6)
14.) Dr. Gore testified
that DAI is very minute pinpoint hemorrhages in the brain, thereby
providing the court with erroneous definition: DAI involves no blood
or hemorrhage, but rather, injury to brain axons. (TT Vol. III
p.226; 15-25, p.227; 1-4)
15.) Dr. Gores
attention to the medical history would have shown that egregiously
excessive administration of bicarbonate occurred also. Bicarbonate
was continuously infused, despite pH levels of 7.6 and 7.7,
accounting for the hypoxic, edematous and other changes seen
intracranially and in the CNS.
16.) Dr. Gore did not
decribe the microscopic appearance of the meninges or the presence
of DAI in the brain or spinal cord.
17.) Dr. Gore presented
no description of his x-ray findings of the rib changes.
18.) Dr. Gore presented
slides and testified about the old callous of the 5th, 6th & 10th
ribs, unrelated to the present condition, as there was no new
callous; yet he notes the 7th as well in his report. (TT Vol. III
p.221; 1-17)
19.) Dr. Gores
description of the bleeding in the subdural spaces indicates a 3-5
day process, yet he testified that the bleeding occurred in a few
minutes or seconds. (TT Vol. III pp. 256; 15-20, p.275; 9-25, p.276;
1-3, p.279; 16-25 & p.280; 1-11)
20.) The presence of
bleeding in the lungs and lower spinal cord is not indicative of
SBS, yet Dr. Gore maintains his diagnosis of SBS.
21.) Dr. Gore testified
that he did not test the cerebrospinal fluid (CSF) because it was
mixed with blood, whereas his autopsy report notes on page 7 that
the CSF was clear. (TT Vol. III p. 238; 20-25, p.239; 1-22, p.242;
23-25 & p.243; 1-6)
22.) Dr. Gore testified
decedent did not have meningitis; however, his autopsy report
indicates that there was meningitis. Tissue samples of the meninges
revealed prominent and acute meningitis. (TT Vol. III p.278; 9-14)
23.) Dr. Gore presented
photos of decedent in trial and remarked about two bruises on the
head, thereby presenting evidence not related to the cause of death:
he later admitted that these bruises occurred in the hospital as a
result of handling. (TT Vol. III p.215; 21-25, p.216; 1-18, p.254;
12-25 & p.255; 1-8)
24.) Neither Dr. Gore,
nor his office, performed a crime-scene investigation, per protocol.
25.) Numerous other
discrepancies are revealed when Dr. Gores autopsy report and his
testimony are scrutinized and compared by independent analysts.
Dr. Gores neglect,
errors, false testimony, and malfeasant performance led to a
wrongful conviction, placing an innocent man in prison for life
without parole. Moreover, he caused severe mental, emotional, and
financial harm to an already grieving and traumatized family.
Appendix A is contact
information for experts who have reviewed the materials and assert
Dr. Gores negligence, as well as the serious and grave questions
surrounding the integrity of Dr. Gores autopsy and testimony.
Also attached is an
article which reports on Dr. Gores incompetence, and an internal
investigation which revealed that, among other things, hundreds of
cases in his care have been cross-contaminated as early as 1994. As
well, Dr. Gore is not a board certified forensic pathologist.
Another attached article indicates ethical misgivings surrounding
Dr. Gore.
Based on the above information, it is clear
that an exhaustive and extensive independent review of Dr. Gores
role in this case be examined and proper disciplinary action be
taken. Dr. Gores incompetence is a liability to Orange/Osceola
County and a threat not only to his profession
and the courts, but to the families and citizens he serves. It is
also noted that the two Orlando newspapers and three Orlando TV-news
stations are reporting the case, as are dozens of other media
sources here and abroad. This elevates the need for exhaustive
review to the level of great public importance. Dr. Gores long
history of incompetence and unethical practice calls for swift and
thorough resolution.
Francine Yurko
PO BOX 585965
Orlando, FL 32858-5965
May 2, 2003
Enc: Complaint
Notarized Release
Appendix A.
Articles re: Dr Gore (2)
Compact Disc/records, transcripts
CC: Loren Rhoton, Esq.
Mohammed A. Al-Bayati, PhD, DABT, DABVT
Harold E. Buttram, MD, FAAEM
Michael Innis, MB.BS, FRCPA, FRCPath, DTMH
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