I wanted to bring Dr Fisher's response here. I hope it is ok to have it here to the forum for those who do not want to wade thru the 163 page court filing. Fisher's response was not a document that we are able to easily copy and paste from (it was like a phototcopy that cannot be highlighted and words copied from, you would have to take screencaps) so I wanted to be able to have his words here for everyone to be able to copy and comment on.
Anything I omitted is indicated by ".............". ( I had enough to transcribe without long passages about accreditation agencies and their long convoluted names.). I am not a professional transcriptionist nor do I claim to have created an error free document. There may be a few typos which I will correct if needed, especially if they are crucial to understanding what it being said.
"Dear Judge Grillo,
I have reviewed the five(5) declarations provided to me by your court offices on October 3, 2014, specifically declarations of D. Ala Shewmon, MD; Philip De Fina, PhD; Charles J. Prestigiacomo, M.D; Calixto Machado, M..D.; and Elena B Labkovsky, PhD.
In order for you to review and interpret those declarations, I provide below and number of facts and thoughts raised by these documents.
1.Criteria for brain death in a child are those posited in Pediatrics 2011;128e720-740 (attached),...................................... “The American Academy of neurology;s Practice Parameters for Determining Brain Death in Adults” as referenced by Dr. Shewmon and “AMA (American Medical Association) guidelines” as referenced by Dr Prestigiacomo are not the relevant guidelines in the instance of Jahi.
2.The diagnosis and determination of brain death requires serial neurological examinations performed in person by different attending physicians. No record of any on-site or in-person serial neurological examination of Jahi McMath, performed by a physical, have been presented to me via these declarations.
3.Videos of hand and foot movements, coincident with verbal commands heard on audio, cannot affirm or refute brain death, and are not substitutes for in-person serial neurological examinations by a physician.
4.No apnea test has been performed or reported in the declarations, as required for a determination of brain death.
5.A repeat apnea test would not cause harm to Jahi McMath
6.Dr. Prestigiacomo has referred to a” sleep apnea test”, and that is not the correct examination in the determination of brain death.
7.A “flat” EEG, or electro-cerebral silence is not required for the determination of brain death(see Pediatrics 2011;128e720-740) . The EEG performed on 9/1/14 was not performed in standard conditions, but rather at an apartment and Dr. Machado does note artifacts, which he attributes to movement. Electrical artifacts cannot be excluded as the cause of reported electrical activity, but again, electro-cerebral is not requisite to the determination of brain death.
8.No cerebral blood flow radionuclide brain scan has been performed or reported in the declarations, and that is the test used to determine cerebral blood flow in order to assist in the determination of brain death, not magnetic resonance angiography (MRA) (see Pediatrics 2011;128e720-740)
9.MRA is not a technique used to determine blood flow.
10.MRA, as performed on 9/26/14, provides a structural picture of the brain and is not part of the determination of brain death. A picture of persistent brain tissue inside a skull does not negate the determination of brain death. Liquefaction of of the brain is not requisite to the determination of brain death. There are no specific anatomic or pathologic changes noted in brain death.
11.Heart rate analysis, as presented from 9/1/14, is not part of and not relevant to the determination of brain death.
12.Menarche and menstrual cycles are not relevant to the determination of brain death.
13.A Bispectral Index (BIS) monitor has no role in and is not relevant to the determination of brain death.
14.I cannot determine form the declarations whether Ms. Labkovsky has completed EEG technician certifcation in the United States, such as that required by the American Association of Electrodiagnostic Technologists (AAET) or American Board of Registrations of Electroncephalographic and Evoked Potential Technologists (ABRET). EEG Neurofeedback Certification is not considered the appropriate certification to conduct diagnostic EEGs, such as EEGs in the determination of brain death.
Overall, none of the current materials presented in the declarations refute my 12/23/14 examination and consultation finding (attached), or those of several prior attending physicians who completed the same exams, that Jahi McMath met all criteria for brain death. None of the declarations provide any evidence that Jahi McMath is not brain dead.
I want to note on record that I have not and will not accept and compensation for my services providing expertise in the matter of Jahi McMath, and I have no affiliations with the McMath family, UCSF Benioff Children's Hospital Oakland, or their legal counsels. I continue to extend my sympathies to the family and friends of Jahi McMath,
I hereby grant permission to the court to share this document privately or public, at your discretion. My CV is attached...............................
Paul Graham Fisher MD