Margaret McNaughton
PFD Report
All Responded
Ref: 2025-0397
All 1 response received
· Deadline: 26 Sep 2025
Coroner's Concerns (AI summary)
The Trust consistently fails to ensure adequate checking and documentation of patient allergy status, leading to ongoing adverse incidents, as current policies and communications are insufficient to embed these critical safety practices.
View full coroner's concerns
1. Allery status checks are both important and essential. At inquest I heard that after the death of Mrs McNaughton there had been other ‘adverse incidents due to ignoring/not checking allergy status’. This wording is taken from an email which was disclosed to me by the Hospital Trust as part of their learning and was sent by the Clinical Director to all clinicians on 13/4/25. The email goes on to state that no medication will be given without documentation of allergy status by a prescriber and that this must be checked on CWP +/- GP record and corroborated with the patient if they have capacity.
2. I was also informed at inquest that this email had been preceded by a ‘message of the week’ which required a number of actions (albeit it was unspecific as to whom should be carrying out these actions
i.e. medical or clinical staff). This message required two sources to confirm the allergy status and for the source to be documented.
3. I was informed that there had been work undertaken at the Trust following an audit in February 2025 which concluded as follows; In conclusion, there continues to be concern with regards to the checking and confirmation of allergy status and the documentation regarding this. The Directorate feel that immediate action is required to ensure there is a process in place to reduce the risk of medication allergy incidents occurring and improve patient safety.
4. Although there was no PSIRF investigation carried out after Mrs McNaughton’s death, there was an internal incident investigation which identified lessons learned as ‘STATUS MUST BE CHECKED ON CLINICAL WEB PORTAL AND DOCUMENTED AS SUCH’.
5. I am concerned that an email to clinicians and a ‘message of the week’ does not go far enough in terms of the ensuring the Trusts own recognition of ‘lessons learned’ has been embedded across the Trust and that the requirements to check a patient’s allergy status and record the findings and has not been enshrined in any Trust Policy.
6. Given the findings of the Trust from February 2025 and the date of the email sent by the Clinical Director in April 2025, the inference is that such further incidents have taken place after the death of Mrs McNaughton and AFTER the message of the week and AFTER the February 2025 audits. Although there is evidence that auditing is taking place, given incidents are continuing to occur I am concerned this presents and continues to present a risk to patient safety at this time.
7. The Trusts Policy on Prescribing, storage and administration of drugs states; ‘it is the responsibility of a registered medical or dental officer to prescribe for a patient It is the responsibility of the prescriber to take a medication history and complete the drug allergy box’. Again, whilst accepting this I cannot see anything in this policy that addresses my concern as to HOW this is carried out.
8. The Trusts Policy on Electronic Prescribing and Medicines Administration (ePMA) Policy outlines how the ePMA system must be used within the Trust. It provides an electronic system for prescribing, clinical checking, supplying, and administering medication. The Policy states that the system must enable the Trust to reduce the risk of medication errors and that the ePMA system also provides a Decision Support System (DSS) to aid safer prescribing and administration. The Policy states ‘Prescribers are responsible for entering allergy details into the patient’s medical record within ePMA as part of their clerking, and thereafter regularly reviewing the allergy details. Again, whilst accepting this I cannot see in this policy anything specific about HOW such checks should be carried out and when.
9. The Trusts Management of Medication Errors Policy states; it is the responsibility of a registered medical [or dental officer] to prescribe for a patient. It is the responsibility of the prescriber to take a medication history and complete the drug allergy box’ again accepting this, the policy otherwise deals with how errors are reported and dealt with, and does not appear to cover my concerns outlined above.
10. I cannot see any Trust Policy that provides guidance on HOW a patients allergy status should be checked or recorded and by whom and where - over and above a prescribers professional responsibility and accountability.
11. I am concerned that it remains unclear as to how such checks should be carried out (e.g use of CWP; two sources, timing of the recording of information etc..) and where information about such checks should be recorded. I am concerned this presents a risk to patient safety at this time.
12. I am also concerned that there is no apparent requirement for a prescriber to record that they have either checked the patient’s allergy status themselves before prescribing OR checked the source of the information contained within the hospital records. I am concerned this presents a risk to patient safety at this time.
13. After reviewing the Policies provided to me, I also noted in The Trusts Management of Medication Errors Policy it defines level 1 and level 2 errors. I do not know what Level the incident concerning Mrs McNaughton was graded as but a level 2 error includes ‘Errors resulting in actual patient harm i.e. any physical effect to a patient that is directly a result of a medication error’. The incident report that I have been provided with only refers to an ‘amber’ incident. I understand the prescriber concerned in this case was a locum doctor and the policy states; In the event of a locum doctor making an error the WMI will forward the report to both HR and the clinical lead for the doctor’s specialty’. The Policy also states ‘The doctor will be counselled by their educational supervisor or clinical lead at the time of the incident who will require them to reflect on their practice. Suspension of a doctor from prescribing or administration of medicines will only occur if the doctor, their educational supervisor or clinical lead assesses that patients will be put at risk if the individual continues to prescribe. If necessary any further training will be arranged through the relevant clinical supervisor or clinical lead’.
14. I was not provided with a statement from the prescribing clinician involved in the incident referred to here although I was informed that the locum Doctor concerned had left the Trust. I have not been reassured by the Trust that they followed their own policy in terms of how this medication error was dealt with at the time and therefore I am concerned that this presents a risk to patient safety at this time.
2. I was also informed at inquest that this email had been preceded by a ‘message of the week’ which required a number of actions (albeit it was unspecific as to whom should be carrying out these actions
i.e. medical or clinical staff). This message required two sources to confirm the allergy status and for the source to be documented.
3. I was informed that there had been work undertaken at the Trust following an audit in February 2025 which concluded as follows; In conclusion, there continues to be concern with regards to the checking and confirmation of allergy status and the documentation regarding this. The Directorate feel that immediate action is required to ensure there is a process in place to reduce the risk of medication allergy incidents occurring and improve patient safety.
4. Although there was no PSIRF investigation carried out after Mrs McNaughton’s death, there was an internal incident investigation which identified lessons learned as ‘STATUS MUST BE CHECKED ON CLINICAL WEB PORTAL AND DOCUMENTED AS SUCH’.
5. I am concerned that an email to clinicians and a ‘message of the week’ does not go far enough in terms of the ensuring the Trusts own recognition of ‘lessons learned’ has been embedded across the Trust and that the requirements to check a patient’s allergy status and record the findings and has not been enshrined in any Trust Policy.
6. Given the findings of the Trust from February 2025 and the date of the email sent by the Clinical Director in April 2025, the inference is that such further incidents have taken place after the death of Mrs McNaughton and AFTER the message of the week and AFTER the February 2025 audits. Although there is evidence that auditing is taking place, given incidents are continuing to occur I am concerned this presents and continues to present a risk to patient safety at this time.
7. The Trusts Policy on Prescribing, storage and administration of drugs states; ‘it is the responsibility of a registered medical or dental officer to prescribe for a patient It is the responsibility of the prescriber to take a medication history and complete the drug allergy box’. Again, whilst accepting this I cannot see anything in this policy that addresses my concern as to HOW this is carried out.
8. The Trusts Policy on Electronic Prescribing and Medicines Administration (ePMA) Policy outlines how the ePMA system must be used within the Trust. It provides an electronic system for prescribing, clinical checking, supplying, and administering medication. The Policy states that the system must enable the Trust to reduce the risk of medication errors and that the ePMA system also provides a Decision Support System (DSS) to aid safer prescribing and administration. The Policy states ‘Prescribers are responsible for entering allergy details into the patient’s medical record within ePMA as part of their clerking, and thereafter regularly reviewing the allergy details. Again, whilst accepting this I cannot see in this policy anything specific about HOW such checks should be carried out and when.
9. The Trusts Management of Medication Errors Policy states; it is the responsibility of a registered medical [or dental officer] to prescribe for a patient. It is the responsibility of the prescriber to take a medication history and complete the drug allergy box’ again accepting this, the policy otherwise deals with how errors are reported and dealt with, and does not appear to cover my concerns outlined above.
10. I cannot see any Trust Policy that provides guidance on HOW a patients allergy status should be checked or recorded and by whom and where - over and above a prescribers professional responsibility and accountability.
11. I am concerned that it remains unclear as to how such checks should be carried out (e.g use of CWP; two sources, timing of the recording of information etc..) and where information about such checks should be recorded. I am concerned this presents a risk to patient safety at this time.
12. I am also concerned that there is no apparent requirement for a prescriber to record that they have either checked the patient’s allergy status themselves before prescribing OR checked the source of the information contained within the hospital records. I am concerned this presents a risk to patient safety at this time.
13. After reviewing the Policies provided to me, I also noted in The Trusts Management of Medication Errors Policy it defines level 1 and level 2 errors. I do not know what Level the incident concerning Mrs McNaughton was graded as but a level 2 error includes ‘Errors resulting in actual patient harm i.e. any physical effect to a patient that is directly a result of a medication error’. The incident report that I have been provided with only refers to an ‘amber’ incident. I understand the prescriber concerned in this case was a locum doctor and the policy states; In the event of a locum doctor making an error the WMI will forward the report to both HR and the clinical lead for the doctor’s specialty’. The Policy also states ‘The doctor will be counselled by their educational supervisor or clinical lead at the time of the incident who will require them to reflect on their practice. Suspension of a doctor from prescribing or administration of medicines will only occur if the doctor, their educational supervisor or clinical lead assesses that patients will be put at risk if the individual continues to prescribe. If necessary any further training will be arranged through the relevant clinical supervisor or clinical lead’.
14. I was not provided with a statement from the prescribing clinician involved in the incident referred to here although I was informed that the locum Doctor concerned had left the Trust. I have not been reassured by the Trust that they followed their own policy in terms of how this medication error was dealt with at the time and therefore I am concerned that this presents a risk to patient safety at this time.
Responses
Action Taken
The Trust is implementing several actions including updating allergy status guidance in policies, providing mandatory training for all staff on allergy awareness, and updating the induction document for temporary staff. They will also provide medication safety training on a regular basis. (AI summary)
The Trust is implementing several actions including updating allergy status guidance in policies, providing mandatory training for all staff on allergy awareness, and updating the induction document for temporary staff. They will also provide medication safety training on a regular basis. (AI summary)
View full response
Dear Coroner Lees
Re: In the matter of Regulation 28, Prevention of Future Death Report – Margaret Ann McNaughton - response due by 26th September 2025
Following the inquest on 22/07/2025, we have summarised the concerns you raised in relation to this Trust under the following headings:
1. Trust Policy does not provide guidance on HOW a patients allergy status should be checked or recorded and by whom and where - over and above a prescriber’s professional responsibility and accountability.
2. Learning shared after the incident in an email to clinicians and a ‘message of the week’ does not go far enough in terms of ensuring the Trusts own recognition of ‘lessons learned’ have been embedded across the Trust.
3. I have not been reassured by the Trust that they followed their own policy in terms of how this medication error was dealt with at the time and therefore I am concerned that this presents a risk to patient safety at this time.
This letter sets out the Trust’s response to the Regulation 28 notice received on 4th August
2025.
For context:
The inquest into the death of Mrs McNaughton found the cause of death to be respiratory failure due to COPD and cardiac arrest due to penicillin anaphylaxis. The inquest found no evidence that an allergy check was undertaken by the prescribing clinician who had not reviewed or spoken to Mrs McNaughton. There was no record that the clinician had accessed hospital records to determine prior allergy status.
The Trust acknowledges that control measures in place at the time of the incident were not fully effective as some of these measures were not available in the Emergency Department when the incident occurred.
Control measures:
- Medicine policies: MP01 Prescribing, Storage and Administration of Drugs, MP03 Medicines Reconciliation, MP05 Antimicrobial Policy.
- The Trust Patient Identification Policy (OP52) recommends the use of Red Allergy Wristbands to alert all practitioners and clinicians of known or suspected allergies.
- Electronic Prescribing and Administration (ePMA) system (awaiting implementation in the Emergency Department):
• ePMA will not allow clinicians to prescribe unless the allergy box is completed.
• ePMA will not let clinicians prescribe a drug if the patient is documented as having a severe allergy to that drug.
• ePMA provides a warning before prescribing if the allergy is mild or moderate.
- The clinical ward pharmacy service undertakes medicines reconciliation on admission and ongoing review of in-patient prescription charts which includes allergy status checks (no clinical pharmacy service in the Emergency Department at the time of the incident)
- Training:
• Prescribers must complete ePMA training before they are given access to ePMA.
• Allergy checking is included in nurse medicines administration training.
- Governance:
• The Trust Medicines Safety Group provides oversight of all harm incidents where ‘medication incident’ is identified on Datix to support learning and improvement.
Addressing the concerns that you have presented specifically to the Trust.
1. Trust Policy do not provide guidance on HOW a patients allergy status should be checked or recorded and by whom and where - over and above a prescriber’s professional responsibility and accountability.
• The Trust acknowledges that clear guidance on ‘how’ allergy status should be checked and recorded, by ‘who’ and ‘where’ is necessary for prescribing clinicians and recognises it as a gap in its current process.
• A Short Working Life Group was set up with the specific remit for identification and recording of drug allergies. The group had representation from the multi- professional team and was led by the Chief Pharmacist. The group reviewed the current practice, including how Trust IT systems interact to inform the process for checking and recording drug allergies.
• The ‘HOW to’ guide developed by the group is being incorporated into trust policy. The policy will state that ‘medicines must not be prescribed or
administered unless allergy status information is completed’ as an additional control measure. Documentation: a review of paper prescription charts (where ePMA is unavailable) is underway which will improve the recording of a patients allergy status and will include space to record the information sources checked.
2. Learning shared after the incident in an email to clinicians and a ‘message of the week’ does not go far enough in terms of ensuring the Trusts own recognition of ‘lessons learned’ has been embedded across the Trust.
• Learning from the incident including the ‘HOW to’ guidance on drug allergy will be shared through Trust-wide communications on a number of platforms and details are included in the action plan.
• Emergency Department specific interventions: ▪ A new Emergency Department Pharmacist post has been recruited to, and part of their role will be to ensure allergies are being documented and to provide training to clinical staff. ▪ The Trust is progressing the introduction of ePMA in the Emergency Department once the new EPR (Electronic Patient Record) has been rolled out.
• Training: A bitesize training video is to be developed and made available to all clinical staff. The Trusts antimicrobial prescribing mandatory training is being updated to incorporate guidance on drug allergy.
• Monitoring: A Trust-wide audit of allergy recording on paper prescription charts has been completed to provide assurance and identify any gaps. This will be repeated on a regular basis and will have oversight from the Trust Medicines Safety Group.
3. I have not been reassured by the Trust that they followed their own policy in terms of how this medication error was dealt with at the time and therefore I am concerned that this presents a risk to patient safety at this time.
• The clinician involved in the incident was a temporary staff member (locum). Following the incident, the Clinical Director for the Emergency Department provided feedback to the clinician involved. If the clinician had stayed in the Trust they would have been required to reflect on the incident during their medical appraisal. However, the clinician left the organisation soon after the incident and is no longer working in the NHS; hence they are not connected to a Responsible Officer to provide feedback.
• For temporary staff the Trust has a process that provides induction and training which includes ePMA training for those who require access to the system, and the requirement to complete mandatory antimicrobial training for staff who will be in post for 3 months or more. The induction document for temporary staff will be updated to include specific reference to the Trust medicines policies, ePMA training and mandatory antimicrobial training.
• The Trust has an established process for managing medication errors that includes feedback to the relevant clinician and their line manager/educational supervisor to facilitate reflection and learning. The policy is being updated to align with PSIRF framework and the Trust is committed to system-based learning incorporating the principles of just culture to approach safety and accountability in the organisation.
Action Plan:
The plan and timescales for what is reasonably practicable is set out below. Implementation of the actions will be monitored through the existing Trust governance process.
Re: In the matter of Regulation 28, Prevention of Future Death Report – Margaret Ann McNaughton - response due by 26th September 2025
Following the inquest on 22/07/2025, we have summarised the concerns you raised in relation to this Trust under the following headings:
1. Trust Policy does not provide guidance on HOW a patients allergy status should be checked or recorded and by whom and where - over and above a prescriber’s professional responsibility and accountability.
2. Learning shared after the incident in an email to clinicians and a ‘message of the week’ does not go far enough in terms of ensuring the Trusts own recognition of ‘lessons learned’ have been embedded across the Trust.
3. I have not been reassured by the Trust that they followed their own policy in terms of how this medication error was dealt with at the time and therefore I am concerned that this presents a risk to patient safety at this time.
This letter sets out the Trust’s response to the Regulation 28 notice received on 4th August
2025.
For context:
The inquest into the death of Mrs McNaughton found the cause of death to be respiratory failure due to COPD and cardiac arrest due to penicillin anaphylaxis. The inquest found no evidence that an allergy check was undertaken by the prescribing clinician who had not reviewed or spoken to Mrs McNaughton. There was no record that the clinician had accessed hospital records to determine prior allergy status.
The Trust acknowledges that control measures in place at the time of the incident were not fully effective as some of these measures were not available in the Emergency Department when the incident occurred.
Control measures:
- Medicine policies: MP01 Prescribing, Storage and Administration of Drugs, MP03 Medicines Reconciliation, MP05 Antimicrobial Policy.
- The Trust Patient Identification Policy (OP52) recommends the use of Red Allergy Wristbands to alert all practitioners and clinicians of known or suspected allergies.
- Electronic Prescribing and Administration (ePMA) system (awaiting implementation in the Emergency Department):
• ePMA will not allow clinicians to prescribe unless the allergy box is completed.
• ePMA will not let clinicians prescribe a drug if the patient is documented as having a severe allergy to that drug.
• ePMA provides a warning before prescribing if the allergy is mild or moderate.
- The clinical ward pharmacy service undertakes medicines reconciliation on admission and ongoing review of in-patient prescription charts which includes allergy status checks (no clinical pharmacy service in the Emergency Department at the time of the incident)
- Training:
• Prescribers must complete ePMA training before they are given access to ePMA.
• Allergy checking is included in nurse medicines administration training.
- Governance:
• The Trust Medicines Safety Group provides oversight of all harm incidents where ‘medication incident’ is identified on Datix to support learning and improvement.
Addressing the concerns that you have presented specifically to the Trust.
1. Trust Policy do not provide guidance on HOW a patients allergy status should be checked or recorded and by whom and where - over and above a prescriber’s professional responsibility and accountability.
• The Trust acknowledges that clear guidance on ‘how’ allergy status should be checked and recorded, by ‘who’ and ‘where’ is necessary for prescribing clinicians and recognises it as a gap in its current process.
• A Short Working Life Group was set up with the specific remit for identification and recording of drug allergies. The group had representation from the multi- professional team and was led by the Chief Pharmacist. The group reviewed the current practice, including how Trust IT systems interact to inform the process for checking and recording drug allergies.
• The ‘HOW to’ guide developed by the group is being incorporated into trust policy. The policy will state that ‘medicines must not be prescribed or
administered unless allergy status information is completed’ as an additional control measure. Documentation: a review of paper prescription charts (where ePMA is unavailable) is underway which will improve the recording of a patients allergy status and will include space to record the information sources checked.
2. Learning shared after the incident in an email to clinicians and a ‘message of the week’ does not go far enough in terms of ensuring the Trusts own recognition of ‘lessons learned’ has been embedded across the Trust.
• Learning from the incident including the ‘HOW to’ guidance on drug allergy will be shared through Trust-wide communications on a number of platforms and details are included in the action plan.
• Emergency Department specific interventions: ▪ A new Emergency Department Pharmacist post has been recruited to, and part of their role will be to ensure allergies are being documented and to provide training to clinical staff. ▪ The Trust is progressing the introduction of ePMA in the Emergency Department once the new EPR (Electronic Patient Record) has been rolled out.
• Training: A bitesize training video is to be developed and made available to all clinical staff. The Trusts antimicrobial prescribing mandatory training is being updated to incorporate guidance on drug allergy.
• Monitoring: A Trust-wide audit of allergy recording on paper prescription charts has been completed to provide assurance and identify any gaps. This will be repeated on a regular basis and will have oversight from the Trust Medicines Safety Group.
3. I have not been reassured by the Trust that they followed their own policy in terms of how this medication error was dealt with at the time and therefore I am concerned that this presents a risk to patient safety at this time.
• The clinician involved in the incident was a temporary staff member (locum). Following the incident, the Clinical Director for the Emergency Department provided feedback to the clinician involved. If the clinician had stayed in the Trust they would have been required to reflect on the incident during their medical appraisal. However, the clinician left the organisation soon after the incident and is no longer working in the NHS; hence they are not connected to a Responsible Officer to provide feedback.
• For temporary staff the Trust has a process that provides induction and training which includes ePMA training for those who require access to the system, and the requirement to complete mandatory antimicrobial training for staff who will be in post for 3 months or more. The induction document for temporary staff will be updated to include specific reference to the Trust medicines policies, ePMA training and mandatory antimicrobial training.
• The Trust has an established process for managing medication errors that includes feedback to the relevant clinician and their line manager/educational supervisor to facilitate reflection and learning. The policy is being updated to align with PSIRF framework and the Trust is committed to system-based learning incorporating the principles of just culture to approach safety and accountability in the organisation.
Action Plan:
The plan and timescales for what is reasonably practicable is set out below. Implementation of the actions will be monitored through the existing Trust governance process.
Sent To
- Royal Wolverhampton NHS Trust
Response Status
Linked responses
1 of 1
56-Day Deadline
26 Sep 2025
All responses received
About PFD responses
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Source: Courts and Tribunals Judiciary
Report Sections
Investigation and Inquest
On 19/12/24 I commenced an investigation into the death of Margaret Ann MCNAUGHTON. The investigation concluded at the end of the inquest on 22/7/25.
The medical cause of Mrs McNaughton’s death was found at inquest as;
1a. Respiratory failure due to chronic obstructive pulmonary disease
2. Cardiac Arrest due to Penicillin anaphylaxis
The inquest concluded with a narrative conclusion and an addendum that the death of Mrs McNaughton was contributed to by Neglect.
The medical cause of Mrs McNaughton’s death was found at inquest as;
1a. Respiratory failure due to chronic obstructive pulmonary disease
2. Cardiac Arrest due to Penicillin anaphylaxis
The inquest concluded with a narrative conclusion and an addendum that the death of Mrs McNaughton was contributed to by Neglect.
Circumstances of the Death
On 2/12/24 Mrs Margaret MCNAUGHTON was admitted to New Cross Hospital, Wolverhampton with breathing difficulties and was diagnosed with a respiratory infection. She had a known background of COPD. Hospital records from her admission recorded that Mrs McNaughton had no known drug allergies (NKDA) but it was unclear where this information had originated from. The EPR showed NKDA and Mrs McNaughton was reported to have denied any drug allergies when asked by paramedics. It was unclear if the EPR was available in the Emergency Department at the time the records were completed. The triaging Nurse had recorded Mrs McNaughton had NKDA and that Mrs McNaughton denied any drug allergies when asked.
Mrs McNaughton did in fact have an allergy to Penicillin.
At 2.18 pm on 2/12/24 BEFORE Mrs McNaughton was seen by any clinician she was prescribed I/V co-amoxiclav which is a penicillin based antibiotic.
There was no evidence of any allergy checks having been made by the prescribing clinician as to Mrs McNaughton’s allergy status. The prescribing clinician had not seen or spoken to Mrs McNaughton themselves. There was no evidence that the prescribing clinician had established the source of entries in the hospital records or accessed the hospital Clinical Web Portal. I found that this was a Gross Failure.
The hospital Clinical Web Portal clearly recorded Mrs McNaughton as being allergic to Penicillin with an entry to this effect clearly recorded in May 2023. In addition, by accessing the Clinical Web Portal the GP records for the deceased were also available which if accessed would have shown a recorded allergy to Penicillin in September 2024. Had the Clinical Web portal been accessed and allergy checks undertaken, then this information would have been known and McNaughton would not have been prescribed penicillin.
Within 25 minutes of the co-amoxiclav being administered intravenously Mrs McNaughton suffered a cardiac arrest due to penicillin anaphylaxis. She was resuscitated after 4 cycles of CPR and transferred to a ward where she sadly deteriorated with respiratory failure and passed away in hospital on 13/12/24.
Mrs McNaughton did in fact have an allergy to Penicillin.
At 2.18 pm on 2/12/24 BEFORE Mrs McNaughton was seen by any clinician she was prescribed I/V co-amoxiclav which is a penicillin based antibiotic.
There was no evidence of any allergy checks having been made by the prescribing clinician as to Mrs McNaughton’s allergy status. The prescribing clinician had not seen or spoken to Mrs McNaughton themselves. There was no evidence that the prescribing clinician had established the source of entries in the hospital records or accessed the hospital Clinical Web Portal. I found that this was a Gross Failure.
The hospital Clinical Web Portal clearly recorded Mrs McNaughton as being allergic to Penicillin with an entry to this effect clearly recorded in May 2023. In addition, by accessing the Clinical Web Portal the GP records for the deceased were also available which if accessed would have shown a recorded allergy to Penicillin in September 2024. Had the Clinical Web portal been accessed and allergy checks undertaken, then this information would have been known and McNaughton would not have been prescribed penicillin.
Within 25 minutes of the co-amoxiclav being administered intravenously Mrs McNaughton suffered a cardiac arrest due to penicillin anaphylaxis. She was resuscitated after 4 cycles of CPR and transferred to a ward where she sadly deteriorated with respiratory failure and passed away in hospital on 13/12/24.
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Data sourced from Courts and Tribunals Judiciary under the Open Government Licence.