2012-2013 In bound ski/board fatalities
Posted: January 9, 2013 Filed under: Avalanche, California, Colorado, Idaho, Michigan, Ski Area, Skiing / Snow Boarding | Tags: alpine Meadwos, Boyne Highlands Resort, Copper Mountain, Donner Ski Ranch, helmet, Keystone Resort, Keystone Ski Resort, SEATTLE, Ski, ski season, Snowboard, Snowmass, Squaw Valley Ski Resort, Sun Valley, Sun Valley Idaho, Sun Valley ski resort, Vail, Vail Colorado Leave a commentThis list is not guaranteed to be accurate. The information is found from web searches and news dispatches. Those references are part of the chart. If you have a source for information on any fatality please leave a comment or contact me. Thank you.
Several Corrections have been made to items reported earlier.
If this information is incorrect or incomplete please let me know. This is up to date as of January 8, 2013. Thanks.
Skiing and Snowboarding are still safer than your kitchen or bathroom. This information is not to scare you away from skiing but to help you understand the risks and to study.
2012 – 2013 Ski Season Deaths
Red is a probable death due to medical issues unrelated to skiing
Dark blue is a death of an employee while working
Tab through the Table to See the Entire Table
| # | Date | State | Resort | Where | How | Cause | Ski/Board | Age | Sex | Name | Home town | Helmet | Reference | ||
| 1 | 11/29/12 | ID | Sun Valley ski resort | Bald Mountain Chairlift | Fell off (Medical?) | 56 | M | Dana Mower | Sun Valley, ID & Seattle, WA | http://rec-law.us/Vi4ims | http://rec-law.us/TyVnKu | ||||
| 2 | 12/1/12 | CO | Keystone Resort | River Run Gondola Maze | Standing in Maze (Medical) | Skier | 66 | M | Rex Brian Burton | Castle Rock, CO | http://rec-law.us/SCZHXJ | http://rec-law.us/YkDioj | http://rec-law.us/UjBMfK | ||
| 3 | 12/2/12 | MI | Boyne Highlands Resort | Camelot, (Beginner) | fell within the slope boundaries and did not collide with any type of obstacle | . | Boarder | 17 | F | Kasandra Knapp | Alanson, MI | http://rec-law.us/11JFVOo | |||
| 4 | 12/9 | CO | Vail | Born Free trail | Hiking before resort opened (Medical) | 61 | M | Denver | http://rec-law.us/Zg0OC1 | ||||||
| 5 | 12/9 | CO | Vail | Eagle Bahn Gondola (Medical) | 63 | M | Douglas Voisard | Vail | http://rec-law.us/Zg0OC1 | ||||||
| 6 | 12/21 | CA | Squaw Valley | KT-22 | strike the tree, hitting the left side of his head | Skier | 71 | M | Theodore Stanley Sorensen | Auburn, CA | Yes | http://rec-law.us/10ctrSt | |||
| 7 | 12/24 | CA | Donner Ski Ranch | Avalanche | Boarder | 49 | M | Steven Mark Anderson | Hirschdale | http://rec-law.us/UCaHJz | http://rec-law.us/Sgjsbi | ||||
| 8 | 12/24 | CA | Alpine Meadows | Sherwood Bowl | Avalanche | Skier | 53 | M | Bill Foster | http://rec-law.us/13eiU72 | http://rec-law.us/VGsqh5 | ||||
| 9 | 12/30 | CO | Snowmass | Hanging Valley Headwall | Avalanche | Swept over cliff | Skier | 49 | F | Patricia “Patsy” Hileman | http://rec-law.us/RCv6fd | http://rec-law.us/VOCr8H | |||
| 10 | 1/4 | CO | Copper Mountain | Vein Glory | Hit tree | M | Tristan Bartlett | Houston, TX | No | http://rec-law.us/RCy03u | http://rec-law.us/VyzVnU | http://rec-law.us/WoJEf5 |
Our condolences go to the families of the deceased. Our thoughts extend to the families and staff at the areas who have to deal with these tragedies.
What do you think? Leave a comment.
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Copyright 2013 Recreation Law (720) Edit Law
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Study shows that head injuries are on the rise on the slopes even though more people are wearing helmets
Posted: December 19, 2012 Filed under: Skiing / Snow Boarding | Tags: ACEP, American College of Emergency Physicians, American College of Emergency Room Physicians, CPSC, Cycling, Head injury, helmet, Mouthguard, Occupational safety and health, Risk Homeostasis, skiing, snowboarding Leave a commentRisk Homeostasis?
A study presented at the American College of Emergency Physicians(ACEP) showed that even with the increased use of helmets on ski slopes head injuries had
increased. Overall injuries on the slopes have remained constant during the same period of time.
The study was based on a review of reports to the U.S. Consumer Product Safety Commission‘s National Electronic Injury Surveillance System (NEISS) Overall helmet use increased from 36.7% to 57.99% during the study period.
The study looked at 68,761 head injuries during the 2004 through 2010 ski seasons. Males represented 68.8% of the injuries, snowboarders 57.9%, and riders between the ages of 11-017 representing 47.7%.
The one difference in the study was children under 10 years old, which showed a decrease in hade injuries dropping from 11.7% to 4.6%.
One brought out by the study was helmets are only good for impacts of 12-15 miles per hour. Most people ski and board faster than that. The true value of a helmet, 12-15 mph of impact protection should be put out there so more people understand what a helmet will and will not do. People are sold helmets with the idea that they will prevent head injuries. They only will prevent injuries in that narrow range of 0-15 mph; over that speed, you probably are going to have an injury.
There were two different ideas put forth as two why head injuries increased. The one idea with the least space about it was Risk Homeostasis or Target Risk. The other was:
My assumptions are that those increases parallel the increase in terrain park use and the level of difficulty and risk in these sports over the last decade,” Christensen said, “and also that we’re simply seeing more people reporting head injuries because there’s been more education and awareness around them.
However, Risk Homeostasiswill also support the greater use of terrain parks and the increased level of difficult and increased risk undertaken by skiers and riders.
Do Something
If you sell helmets tell people the truth. Helmets will reduce some head injuries. Helmets probably will not save your life because if you hit something hard enough to cause brain damage that a helmet will protect you from; you are going to receive other injuries that may kill you.
If you wear a helmet understand what your helmet will and will not do to protect your head.
See Head injuries on rise despite helmets
For additional articles on Risk Homeostasis see:
The Theory of Risk Homeostasis: Implications for Safety and Health
Target Risk: Dealing with the danger of death, disease and damage in everyday decisions
For additional articles on Helmets see:
A helmet manufacture understands the issues(Uvex, Mouthguards) http://rec-law.us/xpxX6n
A new idea that makes sense in helmets: the Bern Hard Hat http://rec-law.us/yPerOd
Does being safe make us stupid? Studies say yes. http://rec-law.us/Ao5BBD
Great article on why helmet laws are stupid http://rec-law.us/zeOaNH
Great editorial questioning why we need laws to “protect” us from ourselves. http://rec-law.us/Ayswbo
Helmet death ignited by misconception and famous personalities http://rec-law.us/wfa0ho
Helmets do not increase risk of a neck injury when skiing http://rec-law.us/wPOUiM
Helmets: why cycling, skiing, skateboarding helmets don’t work http://rec-law.us/RVsgkV
National Sporting Goods Association reports that Helmet use at US Ski Areas increased during the 2009-10 ski season http://rec-law.us/zZTzqa
OSHA Officially recommending helmets for ski area employees http://rec-law.us/xo5yio
Other Voice on the Helmet Debate http://rec-law.us/AzaU9Q
Recent UK poll shows that 10% of cyclists would quite biking if there was a compulsory helmet law. http://rec-law.us/t1ByWk
Skiing/Boarding Helmets and what is the correct message http://rec-law.us/AzeCpS
What do you think? Leave a comment.
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Copyright 2012 Recreation Law (720) Edit Law
Twitter: RecreationLaw
Facebook: Rec.Law.Now
Facebook Page: Outdoor Recreation & Adventure Travel Law
Mobile Site: http://m.recreation-law.com
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Helmets: why cycling, skiing, skateboarding helmets don’t work
Posted: August 15, 2012 Filed under: Cycling, Skiing / Snow Boarding | Tags: Bicycle helmet, Bike Helmet, biking, CPSC, Cycling, Cycling Helmet, helmet, Helmets, skiing, UIAA 3 CommentsThanks to Brad Waldron at Kali Protectives for giving me the visual to explain this.
A helmet needs to absorb energy to work. The more energy a helmet absorbs the more protection a helmet provides. If you look at the inside of your helmet
what is there to absorb energy?
A helmet does not work by being a hard surface to protect your head from head injuries. Hard surfaces protect your head from pointed objects. Think Knights of the Round Table and spears and arrows. If you are riding a bike or skiing and someone is shooting arrows at you, you need a hard helmet.
Hitting the ground is different. Your brain bounces around inside your skill causing damage; a concussion. You need something to absorb the impact and soften the blow or extend the time the impact (force) is being applied to your head, which softens the blow. Helmets as they are currently used, do not do that.
Think about the issue this way. If you drop a weight on an egg, say 11 pounds from 4 feet the egg is going to smash. If you put a book on top of the egg and drop the 11-pound weight the egg is still going to smash. The amount of energy transmitted to the egg maybe reduced by the book; however, the energy reduction is not enough to protect the egg.
A Bicycle or ski helmet is the same way. There is some energy absorption, but not enough to protect your brain.
If you want to know why I picked 11 pounds from 4 feet that is the test for helmets. Watch Video of cycling helmet testing. No one is testing the force on the head, if the helmet absorbs any of the force, or if the impact broke your neck.
On top of that, always remember the helmet is tested with the impact landing in the center top of the helmet. When you fall to make sure you drive your head into the ground hitting the helmet in the center on top of your head to receive the maximum protection.
See for yourself. This is the UIAA (European) Test for Helmets.
This test is for climbing and some European ski helmets. In the US, a bike helmet and ski helmets are not tested for lateral force, slippage or chin strap strength.
There are some organizations that test the helmets to greater extremes such as Consumer Reports, but all they are doing is testing the helmet. They are not looking at whether the helmet protects your head. See Consumer Reports Bike Helmet Testing.
We are not testing whether a helmet looks good after an impact. We are testing whether the helmet protects your head from an impact and the drop test does not test that sufficiently, if at all.
If you want to test this yourself, figure a way to stick an egg under a helmet and drop a weight on the helmet. The egg is still going to crack or break.
Yes, your head is not an egg. It is just easier to see the results with an egg. The helmet did not decrease the pressure enough to protect the egg. The injury still occurred. If you could take the time to measure the breaking strength of an egg and then start below that number and drop weights on the helmet you would see a difference eventually which would be the amount of protections the helmet provides. However, that number would be small and probably no different from what a plastic bowl would do.
If you really want to test this, go buy two eggs. Drop one from 15 feet and see what happens to the egg. Tape the other one in your helmet and drop it from the same height. The egg will crack (and make a real mess in your helmet).
Want more laughs about this? Watch this video where a cardboard helmet does a better job of protecting your head, by absorbing more force, than a bicycle helmet. See Kranium helmet Crash Test
Yes, your head is not an egg. Yes, a helmet will protect you from minor hits. Yes, a helmet is probably better than not using a helmet, unless the process stops you from riding a bike or skiing. The health benefits of activity out weight the risk of a head injury.
If that is the case, then why not wear a helmet when you drive, shower or work in the kitchen. All three have a far greater risk of head injuries then cycling.
However, we have not looked at whether using helmets deters activities. See TEDxCopenhagen – Mikael Colville-Andersen – Why We Shouldn’t Bike with a Helmet. I love the fact the in the video Mr. Colville-Andersen lets you know that the helmet tests were designed for pedestrians wearing helmets. Also he points out that helmet laws do not reduce head injuries. They reduce the total number of people riding bikes, which results in a reduction of head injuries.
Nor have we looked at the issue of the advertised protection versus the real protection afforded by a helmet.
Finally, we have not looked at whether wearing a helmet makes you react in a way to protect other parts of your body rather than your head. If you fall you natural protect your head. Your arms go out to keep your head form hitting the ground and then your cradle your head from being hit or hitting the ground. This accounts for tons of videos and statements when people hold up their battered helmet and say my helmet saved my life.
However, a helmet will not save your life. If you want to be cool and have a helmet that might protect your head watch this video: Hövding krocktest
But without bike and ski helmets where would we mount our video cameras?
References:
Gourley, Jim, Bicycle Times August 1, 2011, Pull Your Head Out of Your…Helmet
Kim Gorgens: Protecting the brain against concussion
A.J. Jacobs: How healthy living nearly killed me
TEDxCopenhagen – Mikael Colville-Andersen – Why We Shouldn’t Bike with a Helmet
Other Articles on Helmets:
A father of a deceased skier pushing for a helmet law in New Jersey.
A helmet manufacture understands the issues(Uvex, Mouthguards)
A new idea that makes sense in helmets: the Bern Hard Hat
Does being safe make us stupid? Studies say yes.
Great article on why helmet laws are stupid
Great editorial questioning why we need laws to “protect” us from ourselves.
Helmet death ignited by misconception and famous personalities
Helmets do not increase risk of a neck injury when skiing
I could not make my son wear a helmet so I’m going to make you wear one
Mixed emotions, but a lot of I told you so.
OSHA Officially recommending helmets for ski area employees
Other Voice on the Helmet Debate
Recent UK poll shows that 10% of cyclists would quite biking if there was a compulsory helmet law.
Skiing/Boarding Helmets and what is the correct message
Survey of UK physicians shows them against mandatory bicycle helmet laws.
What do you think? Leave a comment.
If you like this let your friends know or post it on FB, Twitter or LinkedIn
Copyright 2012 Recreation Law (720) Edit Law
Twitter: RecreationLaw
Facebook: Rec.Law.Now
Facebook Page: Outdoor Recreation & Adventure Travel Law
Mobile Site: http://m.recreation-law.com
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Do you really want to sell helmets this way? Does this article promote the industry?
Posted: June 6, 2012 Filed under: Cycling | Tags: CPSC, Cycling, Cycling Helmet, helmet, Helmets, Retail, U.S. Consumer Product Safety Commission, United States Leave a commentOr does this article just create liability issues?
I recently read an article in a trade magazine about selling cycling helmets. As usual, it caught my attention, but for different reasons. This article was directed at retailers as an educational tool on how to sell helmets. However, the article was at best misleading and would probably get the retailer in trouble in the future. Besides, it created a sales program focused on the negative side of cycling rather than the benefits.
Here are the quotes that I found amusing, actually laughable if they were not so wrong.
As a bike storeowner,thisrgivessyouvbothoanbincredibleropportunityr–uandya–powerfuloresponsibilityi–itotupsell yourlbikeucustomerssandeconvinceothemctotpurchaseuachelmet andmperhapspsavepa life.a life.
It’s your responsibility to inform your customers of the invaluable protection a helmet provides, the importance of wearing a safe helmet that fits well, as well as the dangers and statistics of cycling-related head injuries.
According to the Insurance Institute for Highway Safety (IIHS), 91% of bicyclists killed in 2009 weren’t wearing helmets. The IIHS has estimated that wearing a helmet can reduce head injuries by 85%.
In the United States the Consumer Product Safety Commission (CPSC) regulates helmet law.
…-keep a helmet in shambles from a crash on display and include a testimony about the life it saved…
[emphasize added]
Seriously? This was written let alone allowed into print?
However, it was the hocus pocus of a graph in the article that caught my eye.
|
Bicyclist deaths by helmet se, 1994-2009 |
|||||
|
|
No Helmet Use |
Helmet Use |
Total |
||
|
Year |
Num |
% |
Num |
% |
Num |
|
1994 |
776 |
97 |
19 |
2 |
796 |
|
1995 |
783 |
95 |
34 |
4 |
828 |
And so on through 2009.
The title implies the deaths occurred because cyclists did not wear a helmet. If you take two unrelated numbers and compare them, you can accomplish anything. For proof of this do a web search for “moon landings,” “Kennedy assignation,” and “World trade center,” for an interesting journey through made-up statistics to prove this point. Here they point out who died without a helmet compared to who died wearing a helmet and imply that everyone who died without a helmet died of a head injury.
Absolute fabrication of statistics to scare people!
Helmets prevent head injuries; helmets don’t save lives. If you are involved in an accident severe enough that a head injury will kill you, other parts of your body will be injured severely enough to kill you.
So let’s tackle these misstatements in the article.
As a bike storeowner, this gives you both an incredible opportunity – and a powerful responsibility – to upsell your bike customers and convince them to purchase a helmet and perhaps save a life.
As a retailer you have NO legal responsibility to your customers as far as educating them. You DO have a legal responsibility to educate them correctly if you do educate them. Whether or not you have a moral or ethical responsibility is something you must deal with and a risk you must accept. That risk evaluation also includes losing money by not selling accessories like helmets. However, it is shameful for this article to try to place a burden on a retailer for not selling a helmet.
Helmets do not save lives; helmets may prevent head injuries.
It’s your responsibility to inform your customers of the invaluable protection a helmet provides, the importance of wearing a safe helmet that fits well, as well as the dangers and statistics of cycling-related head injuries.
What is a “safe helmet?”
If you are going to use statistics to prove your point, then you better understand what you are saying. You cannot take two “stats” and compare them to prove a point when the numbers are derived from different sources or different factors. (A perfect example of this is the chart that went with the article).
According to the Insurance Institute for Highway Safety (IIHS), 91% of bicyclists killed in 2009 weren’t wearing helmets. The IIHS has estimated that wearing a helmet can reduce head injuries by 85%.
Just because a large percentage of people died who were not wearing a helmet does not mean you can then say those people died of a head injury. That is like saying 97% of the people in the US who eat ice cream do not get cancer. Only three percent of the population gets cancer anyway. However, that statistic is 100% correct and 100% meaningless, just like the statistics in the article. (However, you can use this statistic to eat more ice cream if you want.)
In the United States, the Consumer Product Safety Commission (CPSC) regulates helmet law.
This is the second time I’ve seen this in the past couple of months. NO! The CPSC is tasked with eliminating dangerous products. If a helmet is not doing what you say it is supposed to do AND there is the possibility of injury, then the CPSC can become involved. There are no federal helmet laws. The CPSC is a federal agency. There are some state helmet laws and some federal regulations concerning helmets. Those regulations are all based on a product meeting the tests of either a testing organization (ASTM, ANSI, etc.) or private non-profit organizations that test helmets (Snell).
…-keep a helmet in shambles from a crash on display and include a testimony about the life it saved…
These numbers also lead one to believe the people died because the cyclist was wrong and not wearing a helmet. However, that is not true either. Cyclists die when vehicles hit them. If the speed of impact is greater than 30 to 40 mph, the cyclists have almost a zero chance of surviving the impact. (See Zone 30 and Pedestrian and Bicyclist Intersection Safety Indices.) Distracted drivers, drivers not paying attention, drivers who don’t care kill cyclist with or without a helmet. See Sharing the Road With Bicycles for more examples.
Do Something
Why is this important? Because consumers do trust and believe retailers as the article points out. If you provide consumers with information which they rely upon in making a purchase which is incorrect and results in an injury you are liable. The manufacturer is going to walk away from this lawsuit without paying a dime. This is a lawsuit the retailer alone must fight.
The retailer made a misstatement that the consumer relied upon to the consumer’s detriment.
This helmet will save your life. The cyclists die of a head injury, and the retailer is writing a check.
You have to educate the consumer; however, when you do that you need to know what is correct. You cannot give the consumer incorrect information. You need to tell the consumer helmets prevent head injuries. No one knows, and there is zero proof that helmets save lives. In fact, the opposite is true. Looking at injury and fatality reports, helmets do nothing to save lives.
What is bad about this article is the fact the article was written by a helmet manufacture and published by an industry magazine. The magazine failed its readers because it published an article without checking the facts in the article. The manufacture that wrote the article is selling helmets based on made-up statistics and facts to promote fear.
Cheap journalism is bad journalism.
On top of that are we helping cycling? If you are trying to sell a helmet to someone based on fear, are we helping the sport? Or are we telling parents that cycling is too dangerous for their kid? Is that how you want to sell cycling; this is a dangerous sport, so spend another $100 with me?
Studies show that using fear or laws to scare people into using helmet’s results in less people cycling. See Cyclists Without Helmets Deserve to Die, Doctors Argue Against Mandatory Bike Helmet Laws or Liberty or death; don’t tread on me.
What do you think? Leave a comment.
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Copyright 2012 Recreation Law (720) Edit Law
Twitter: RecreationLaw
Facebook: Rec.Law.Now
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2011-2012 Ski Season Skier/Boarder Fatalities
Posted: May 2, 2012 Filed under: Skiing / Snow Boarding | Tags: helmet, Ski, Ski Resort, Vail Colorado, Winter sport Leave a commentThis list is not guaranteed to be accurate. The information is found from web searches and news dispatches. If you have a source for information on any fatality please leave a comment.
Several Corrections have been made to items reported earlier.
If this information is incorrect or incomplete please let me know. This is up to date as of April 15, 2012. Thanks.
|
# |
Date |
Resort |
Age |
Skier Ability |
Ski/ Tele /Boarder |
Helmet |
Reference |
|
1 |
11/18/2011 |
62 |
Skier |
Yes |
|||
|
2 |
11/18/2011 |
Breckenridge |
19 |
Expert |
Boarder |
Yes |
|
|
3 |
11/27/2011 |
Mountain High ski resort |
23 |
Beginner |
Boarder |
Yes |
|
|
4 |
12/18/2011 |
Sugar Bowl ski resort |
7 |
Expert |
Skier |
||
|
1/4/2012 |
Medical |
||||||
|
5 |
1/11/2012 |
Ski Apache |
29 |
Skier |
No |
||
|
6 |
1/12/2012 |
Sugarloaf ski resort |
41 |
Skier |
Yes |
||
|
7 |
1/14/2012 |
Silverton Mountain Ski Area |
25 |
Expert |
Skier |
||
|
8 |
1/17/2012 |
Heavenly Mountain Resort |
34 |
Boarder |
Yes |
||
|
9 |
1/18/2012 |
Aspen Highlands |
30 |
Boarder |
Yes |
||
|
10 |
1/18/2012 |
Mt. Hood Meadows Ski Resort |
15 |
Boarder |
No |
||
|
11 |
1/19/2012 |
Park City |
29 |
Boarder |
Yes |
||
|
12 |
1/20/2012 |
Copper Mountain |
51 |
Yes |
|||
|
13 |
1/20/2012 |
Whiteface Mountain |
25 |
Yes |
|||
|
14 |
1/21/2012 |
Vail |
13 |
Expert |
Skier |
||
|
15 |
1/22/2012 |
Winter Park |
28 |
Expert |
Skier |
||
|
16 |
1/24/2012 |
Steamboat Ski Area |
32 |
Boarder |
|||
|
17 |
1/24/2012 |
Taos Ski Valley |
60 |
Skier |
|||
|
18 |
1/25/2012 |
Keystone Ski Area |
54 |
Skier |
|||
|
19 |
1/27/2012 |
Mt. Hood Skibowl |
17 |
Boarder |
|||
|
1/29/2012 |
Medical |
19 |
|||||
|
20 |
1/30/2012 |
Seven Springs Mountain Resort |
36 |
Skier |
|||
|
21 |
1/31/2012 |
Solitude Ski Resort |
74 |
Skier |
No |
||
|
22 |
2/1/2012 |
Squaw Valley |
51 |
Skier |
|||
|
23 |
2/4/2012 |
Sugarbush Resort |
41 |
Skier |
Yes |
||
|
24 |
2/4/2012 |
Ski Windham Mountain Resor |
54 |
Skier |
|||
|
25 |
2/5/2012 |
Keystone Ski Area |
58 |
Skier |
No |
||
|
26 |
2/5/2012 |
Ski Windham Mountain Resort |
54 |
Skier |
|||
|
27 |
2/6/2012 |
Mount Snow |
33 |
||||
|
28 |
2/8/2012 |
Vail |
37 |
Yes |
|||
|
29 |
2/9/2012 |
Keystone Ski Area |
72 |
Yes |
|||
|
30 |
2/11/2012 |
Jay Peak Resort |
29 |
Boarder |
Yes |
||
|
31 |
2/11/2012 |
Terry Peak Ski Area |
24 |
Skier |
No |
||
|
32 |
2/11/2012 |
Terry Peak Ski Area |
24 |
Skier |
No |
||
|
33 |
2/18/2012 |
Sun Valley |
|||||
|
34 |
2/19/2012 |
Copper Mountain |
15 |
Boarder |
Yes |
||
|
35 |
2/26/2012 |
Keystone Ski Area |
24 |
Yes |
|||
|
36 |
2/23/2012 |
Northstar California |
52 |
Yes |
|||
|
37 |
3/1/2012 |
Burke Mountain Ski Resort |
70 |
Yes |
|||
|
38 |
3/8/2012 |
Copper Mountain |
18 |
Skier |
Yes |
||
|
39 |
3/9/2012 |
Keystone Ski Area |
23 |
Skier |
No |
||
|
40 |
3/10/2012 |
Terry Peak Ski Area |
54 |
Skier |
|||
|
41 |
3/10/2012 |
Loveland Ski Area |
71 |
Skier |
No |
||
|
42 |
3/14/2012 |
Crested Butte Mountain Resort |
36 |
Skier |
No |
||
|
43 |
3/16/2012 |
Northstar California |
51 |
Skier |
Yes |
||
|
44 |
3/18/2012 |
China Peak Ski Resort |
30 |
Boarder |
|||
|
45 |
3/18/2012 |
Sierra-at-Tahoe |
54 |
Skier |
|||
|
46 |
3/19/2012 |
Sugar Bowl Ski Resort |
20 |
Boarder |
|||
|
47 |
3/21/2012 |
Mt. Hood Skibowl recreational area |
38 |
Yes |
|||
|
48 |
3/24/2012 |
Wold Creek Ski Area |
19 |
No |
|||
|
3/23/2012 |
Medical |
Yes |
|||||
|
49 |
3/28/2012 |
Skibowl |
37 |
Yes |
|||
|
50 |
3/31/2012 |
White Pass Ski Area |
22 |
What do you think? Leave a comment.
If you like this let your friends know or post it on FB, Twitter or Linkedin
Copyright 2012 Recreation Law (720) Edit Law
Twitter: RecreationLaw
Facebook: Rec.Law.Now
Facebook Page: Outdoor Recreation & Adventure Travel Law
#RecreationLaw, #@RecreationLaw, #Cycling.Law #Fitness.Law, #Ski.Law, #Outside.Law, #Recreation.Law, #Recreation-Law.com, #Outdoor Law, #Recreation Law, #Outdoor Recreation Law, #Adventure Travel Law, #law, #Travel Law, #Jim Moss, #James H. Moss, #Attorney at Law, #Tourism, #Adventure Tourism, #Rec-Law, #Rec-Law Blog, #Recreation Law, #Recreation Law Blog, #Risk Management, #Human Powered, #Human Powered Recreation,# Cycling Law, #Bicycling Law, #Fitness Law, #Recreation-Law.com, #Backpacking, #Hiking, #Mountaineering, #Ice Climbing, #Rock Climbing, #Ropes Course, #Challenge Course, #Summer Camp, #Camps, #Youth Camps, #Skiing, #Ski Areas, #Negligence, #Snowboarding, #RecreationLaw, #@RecreationLaw, #Cycling.Law #Fitness.Law, #SkiLaw, #Outside.Law, #Recreation.Law, #RecreationLaw.com, #OutdoorLaw, #RecreationLaw, #OutdoorRecreationLaw, #AdventureTravelLaw, #Law, #TravelLaw, #JimMoss, #JamesHMoss, #AttorneyatLaw, #Tourism, #AdventureTourism, #RecLaw, #RecLawBlog, #RecreationLawBlog, #RiskManagement, #HumanPowered, #HumanPoweredRecreation,# CyclingLaw, #BicyclingLaw, #FitnessLaw, #RecreationLaw.com, #Backpacking, #Hiking, #Mountaineering, #IceClimbing, #RockClimbing, #RopesCourse, #ChallengeCourse, #SummerCamp, #Camps, #YouthCamps, #Skiing, #Ski Areas, #Negligence, #Snowboarding, sport and recreation laws, ski law, cycling law, Colorado law, law for recreation and sport managers, bicycling and the law, cycling and the law, ski helmet law, skiers code, skiing accidents, #Vail, #Breckenridge, #Mountain High Ski Resort, #Ski Ward, #Sugarloaf, #Silverton, Ski Apache, #Sugarloaft, #Heavenly, #Aspen, Mt Hood, Park City, #Copper, #Whiteface, Winter Park, #Steamboat, #Taos, #Keystone, #Canyons, Seven Springs, #Solitude, Ski Windham, Mount Snow, Jay Peak Terry Peak,
WordPress Tags: Skier,Boarder,Fatalities,Season,information,news,Several,Corrections,items,April,Thanks,Date,Resort,Tele,Helmet,Reference,Vail,Breckenridge,Expert,Mountain,High,Beginner,Sugar,Bowl,Medical,Apache,Sugarloaf,Silverton,Area,Aspen,Highlands,Meadows,Park,Copper,Whiteface,Winter,Steamboat,Taos,Valley,AihrSt,Skibowl,Seven,Springs,Solitude,Squaw,Sugarbush,Windham,Resor,Mount,ABqYPQ,Peak,Terry,Northstar,California,Burke,ADkQWq,Loveland,Ajhcko,Butte,China,Sierra,Tahoe,GAucKe,Wold,Creek,White,Pass,Leave,Twitter,Linkedin,Recreation,Edit,RecreationLaw,Facebook,Page,Outdoor,Adventure,Travel,Blog,Outside,Moss,James,Attorney,Tourism,Risk,Management,Human,Rock,Ropes,Course,Challenge,Summer,Camp,Camps,Youth,Areas,Negligence,SkiLaw,OutdoorLaw,OutdoorRecreationLaw,AdventureTravelLaw,TravelLaw,JimMoss,JamesHMoss,AttorneyatLaw,AdventureTourism,RecLaw,RecLawBlog,RecreationLawBlog,RiskManagement,HumanPoweredRecreation,CyclingLaw,BicyclingLaw,FitnessLaw,RopesCourse,ChallengeCourse,SummerCamp,YouthCamps,Colorado,managers,accidents,Ward,Sugarloaft,Canyons
Bicycling Magazine, May 2012: Safe for Any Speed
Posted: April 18, 2012 Filed under: Cycling | Tags: Adventure travel, ASTM International, Bicycle helmet, Bicycle Magazine, Cycling, Cycling Helmet, helmet, Letter to the Editor, Outdoor recreation, Rock climbing, Ropes course Leave a commentThere is no government involvement in cycling (or any other) helmets
April 3, 2012
Peter Flax, Editor in Chief
Bicycling
400 South 10th Street
Emmaus, PA 18098
Via Email: Bicycling@rodale.com
Re: Bicycling Magazine, May 2012: Safe for Any Speed
Dear Editor Flax:
Love your magazine; however your article Safe for Any Speed in the May 2012 edition incorrectly stated that bicycle helmets were controlled by government standards. No US government, state or federal or agency of a state or the federal government controls or has anything to do with standards for bicycle helmets.
The standards for Bicycle helmets are set by the ASTM International (formerly American Society for Testing and Material), Committee F08 on Sports Equipment and Facilities. Specifically Committee F08.53 on Headgear and Helmets (F1447-06 Standard Specification for Helmets Used in Recreational Bicycling or Roller Skating) is responsible for the standard and how the standard will be tested. For more information on this standard you can go to the ASTM and purchase the standard.
More importantly the standards are voluntary. No government, body, agency or board on a federal level requires any standard. Some state laws refer to the standards for cycling helmet laws.
Sincerely,
What do you think? Leave a comment.
If you like this let your friends know or post it on FB, Twitter or LinkedIn
Copyright 2012 Recreation Law (720) Edit Law
Twitter: RecreationLaw
Facebook: Rec.Law.Now
Facebook Page: Outdoor Recreation & Adventure Travel Law
Mobile Site: http://m.recreation-law.com
#RecreationLaw, #@RecreationLaw, #Cycling.Law #Fitness.Law, #Ski.Law, #Outside.Law, #Recreation.Law, #Recreation-Law.com, #Outdoor Law, #Recreation Law, #Outdoor Recreation Law, #Adventure Travel Law, #law, #Travel Law, #Jim Moss, #James H. Moss, #Attorney at Law, #Tourism, #Adventure Tourism, #Rec-Law, #Rec-Law Blog, #Recreation Law, #Recreation Law Blog, #Risk Management, #Human Powered, #Human Powered Recreation,# Cycling Law, #Bicycling Law, #Fitness Law, #Recreation-Law.com, #Backpacking, #Hiking, #Mountaineering, #Ice Climbing, #Rock Climbing, #Ropes Course, #Challenge Course, #Summer Camp, #Camps, #Youth Camps, #Skiing, #Ski Areas, #Negligence, #Snowboarding, #RecreationLaw, #@RecreationLaw, #Cycling.Law #Fitness.Law, #SkiLaw, #Outside.Law, #Recreation.Law, #RecreationLaw.com, #OutdoorLaw, #RecreationLaw, #OutdoorRecreationLaw, #AdventureTravelLaw, #Law, #TravelLaw, #JimMoss, #JamesHMoss, #AttorneyatLaw, #Tourism, #AdventureTourism, #RecLaw, #RecLawBlog, #RecreationLawBlog, #RiskManagement, #HumanPowered, #HumanPoweredRecreation,# CyclingLaw, #BicyclingLaw, #FitnessLaw, #RecreationLaw.com, #Backpacking, #Hiking, #Mountaineering, #IceClimbing, #RockClimbing, #RopesCourse, #ChallengeCourse, #SummerCamp, #Camps, #YouthCamps, #Skiing, #Ski Areas, #Negligence, #Snowboarding, sport and recreation laws, ski law, cycling law, Colorado law, law for recreation and sport managers, bicycling and the law, cycling and the law, ski helmet law, skiers code, skiing accidents, Bicycling Magazine, Safe for Any Speed, #BicyclingMagazine, #helmets, cycling helmets, #magazine,
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Skier/Boarder Fatalities 2011-2012 Ski Season 3/15/12
Posted: March 28, 2012 Filed under: Skiing / Snow Boarding | Tags: fatality, helmet, Inbounds, Ski, ski area, Ski Resort, snowboarding, Sport, Vail Colorado, Winter sport Leave a commentThis list is not guaranteed to be accurate. The information is found from web searches and news dispatches. If you have a source for information on any fatality please leave a comment.
If this information is incorrect or incomplete please let me know. This is up to date as of March 15, 2012. Thanks.
|
# |
Date |
Resort |
Age |
Skier Ability |
Ski/ Tele /Boarder |
Helmet |
Reference |
|
1 |
11/18/2011 |
62 |
Skier |
Yes |
|||
|
2 |
11/18/2011 |
Breckenridge |
19 |
Expert |
Boarder |
Yes |
|
|
3 |
11/27/2011 |
Mountain High ski resor |
23 |
Beginner |
Boarder |
Yes |
|
|
4 |
12/18/2011 |
Sugar Bowl ski resort |
7 |
Expert |
Skier |
||
|
6 |
1/11/2012 |
Ski Apache |
29 |
Skier |
No |
||
|
7 |
1/12/2012 |
Sugarloaf ski resort |
41 |
Skier |
Yes |
||
|
8 |
1/14/2012 |
Silverton Mountain Ski Area |
25 |
Expert |
Skier |
||
|
9 |
1/17/2012 |
Heavenly Mountain Resort |
34 |
Boarder |
Yes |
||
|
10 |
1/18/2012 |
Aspen Highlands |
30 |
Boarder |
Yes |
||
|
11 |
1/18/2012 |
Mt. Hood Meadows Ski Resort |
15 |
Boarder |
No |
||
|
12 |
1/19/2012 |
Park City |
29 |
Boarder |
Yes |
||
|
13 |
1/20/2012 |
Copper Mountain |
51 |
Yes |
|||
|
14 |
1/20/2012 |
Whiteface Mountain |
25 |
Yes |
|||
|
15 |
1/21/2012 |
Vail (skied into closed area) |
13 |
Expert |
Skier |
||
|
16 |
1/22/2012 |
Winter Park |
28 |
Expert |
Skier |
||
|
17 |
1/24/2012 |
Steamboat Ski Area |
32 |
Boarder |
|||
|
18 |
1/24/2012 |
Taos Ski Valley |
60 |
Skier |
|||
|
19 |
1/25/2012 |
Keystone Ski Area |
54 |
Skier |
|||
|
20 |
1/27/2012 |
Mt. Hood Skibowl |
17 |
Boarder |
|||
|
22 |
1/30/2012 |
Seven Springs Mountain Resort |
36 |
Skier |
|||
|
27 |
1/31/2012 |
Solitude Ski Resort |
74 |
Skier |
No |
||
|
23 |
2/1/2012 |
Squaw Valley |
51 |
Skier |
|||
|
26 |
2/4/2012 |
Sugarbush Resort |
41 |
Skier |
Yes |
||
|
33 |
2/4/2012 |
Ski Windham Mountain Resor |
54 |
Skier |
|||
|
24 |
2/5/2012 |
Keystone Ski Area |
58 |
Skier |
No |
||
|
30 |
2/6/2012 |
Mount Snow |
33 |
||||
|
28 |
2/8/2012 |
Vail |
37 |
Yes |
|||
|
29 |
2/9/2012 |
Keystone Ski Area |
72 |
Yes |
|||
|
31 |
2/11/2012 |
Jay Peak Resort |
29 |
Boarder |
Yes |
||
|
32 |
2/11/2012 |
Terry Peak Ski Area |
24 |
Skier |
No |
||
|
34 |
2/18/2012 |
Sun Valley |
http://rec-law.us/GB3TCy | ||||
|
35 |
2/19/2012 |
Copper Mountain |
15 |
Boarder |
Yes |
||
|
36 |
2/26/2012 |
Keystone Ski Area |
24 |
Yes |
|||
|
37 |
2/23/2012 |
Northstar California |
52 |
Yes |
|||
|
38 |
3/1/2012 |
Burke Mountain Ski Resort |
70 |
Yes |
|||
|
39 |
3/8/2012 |
Copper Mountain |
18 |
Skier |
Yes |
||
|
40 |
3/9/2012 |
Keystone Ski Area |
23 |
Skier |
No |
||
|
41 |
3/10/2012 |
Terry Peak Ski Area |
54 |
Skier |
|||
|
42 |
3/10/2012 |
Loveland Ski Area |
71 |
Skier |
No |
||
|
43 |
3/14/2012 |
Crested Butte Mountain Resort |
36 |
Skier |
No |
||
|
44 |
3/16/2012 |
Northstar California |
51 |
Skier |
Yes |
||
|
45 |
3/18/2012 |
China Peak Ski Resort |
30 |
Boarder |
|||
|
46 |
3/18/2012 |
Sierra-at-Tahoe |
54 |
Skier |
|||
|
47 |
3/19/2012 |
Sugar Bowl Ski Resort |
20 |
Boarder |
What do you think? Leave a comment.
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Copyright 2012 Recreation Law (720) Edit Law
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Best of Outdoor Retailer and SIA
Posted: March 21, 2012 Filed under: Uncategorized | Tags: helmet, Kali, MIPS architecture, Recco, Ski, Ski Resort, Sports Leave a commentThe best is always the people. However I found some interesting products
12 days, 8 days of exhibit hall, 3 days of on-snow demos and another tradeshow season comes to an end.
Here’s a quick rundown of what I saw that I liked.
Slide On for ski boots: This product makes putting your ski boot on a breeze. From the maker of the Booster Power Strap. If you ski and you aren’t using the Booster Power Strap, try and get off the bunny slope and give them a try.
Nargear: Not a lot of bells and whistles, just make to take your gear and keep it in one bag, no matter how far you throw it.
Snow Angel: No I don’t wear women’s clothing, but this stuff is beautiful. Feels good too. You are on your own for finding out how technical it is.
MIPS: If you need a helmet for any sport that is not a DOT helmet, get one with MIPS inside. It may make the difference
Kali Helmets: Don’t like MIPS, Kali is coming up with some new ideas in helmet technology that will change the way helmets perform.
Protect Helmets: nothing new as far as the helmet goes, but they have the Recco chip in the helmet.
Bern Hard Hat: I’ve told you a thousand times A new idea that makes sense in helmets: the Bern Hard Hat
Ski Retriever: Skiing Powder all the time and don’t like leashes, try technology to not lose a ski.
Fox 40: Fox had mouth guards at the ski show. See A helmet manufacture understands the issues
UClear: I’ve not tested it but if the ear phones eliminate the wind noise and the microphone eliminates all noise, these will be great for people who move
Loki: Did you ever have a coat that you grabbed when you weren’t sure, but when in doubt you always grabbed it. Loki makes coats, sweatshirts and accessories, all that serve multi purposes.
Orthahell Sandals: Ever put something on your feet and have your feet put a smile on your face. In a sandal even.
Suunto: Supposedly they have a new watch that works, by that I mean won’t break in 60 days. We’ll see. Heck, the PR team is beautiful……
Timex: Hard to read, harder to understand how it works, but as John Cameron Sayze used to say, it takes a lickin’ and keeps on tickin’
Eton: A product that made me go wow. Solar powered stereo that you can Bluetooth from your phone or MP3. No need to add songs to another device. Don’t know if it can take the outdoor beating, but works great indoors.
Replay: video camera a little larger than a roll of quarters, but not much larger
Hyalite Equipment: New name, old company solid great gear, bags, pads and bike gear
The Dry Guy: If you don’t own something from the Dry Guy, you are skiing with wet gloves and boots. The latest is a heater & dryer for boots, the Turbo Dryer that can work off your car. Warm boots when you put them on to ski after driving to the resort. Wonderful.
I have a lot more stuff to let you know about, but some I want to make sure the marketing matches reality.
What do you think? Leave a comment.
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Copyright 2012 Recreation Law (720) Edit Law
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Skier/Boarder Fatalities 2011-2012 Ski Season 2/15/12
Posted: February 29, 2012 Filed under: Ski Area | Tags: Fatalities, helmet, Rock climbing, Ski, ski area, Ski Resort, skiing, Snowboard, snowboarding, Sport, Sports, Vail Colorado, Winter sport, winter sports Leave a commentThis list is not guaranteed to be accurate. The information is found from web searches and news dispatches. If you have a source for information on any fatality please leave a comment.
If this information is incorrect or incomplete please let me know. This is up to date as of February 15, 2012. Thanks.
|
# |
Date |
Resort |
Age |
Skier Ability |
Ski/ Tele /Boarder |
Reference |
|
|
1 |
11/18/2011 |
62 |
Skier |
Yes |
|||
|
2 |
11/18/2011 |
Breckenridge |
19 |
Expert |
Boarder |
Yes |
|
|
3 |
11/27/2011 |
Mountain High ski resor |
23 |
Beginner |
Boarder |
Yes |
|
|
4 |
12/18/2011 |
Sugar Bowl ski resort |
7 |
Expert |
Skier |
|
|
|
5 |
1/4/2012 |
Ski Ward |
19 |
Expert |
Skier |
||
|
6 |
1/11/2012 |
Ski Apache |
29 |
Skier |
No |
||
|
7 |
1/12/2012 |
Sugarloaf ski resort |
41 |
Skier |
Yes |
||
|
8 |
1/14/2012 |
Silverton Mountain Ski Area |
25 |
Expert |
Skier |
||
|
9 |
1/17/2012 |
Heavenly Mountain Resort |
34 |
Boarder |
Yes |
||
|
10 |
1/18/2012 |
Aspen Highlands |
30 |
Boarder |
Yes |
||
|
11 |
1/18/2012 |
Mt. Hood Meadows Ski Resort |
15 |
Boarder |
No |
||
|
12 |
1/19/2012 |
Park City |
29 |
Boarder |
Yes |
||
|
13 |
1/20/2012 |
Copper Mountain |
51 |
Yes |
|||
|
14 |
1/20/2012 |
Whiteface Mountain |
25 |
Yes |
|||
|
15 |
1/21/2012 |
Vail |
13 |
Expert |
Skier |
||
|
16 |
1/22/2012 |
Winter Park |
28 |
Expert |
Skier |
||
|
17 |
1/24/2012 |
Steamboat Ski Area |
32 |
Boarder |
|||
|
18 |
1/24/2012 |
Taos Ski Valley |
60 |
Skier |
|||
|
19 |
1/25/2012 |
Keystone Ski Area |
54 |
Skier |
|||
|
20 |
1/27/2012 |
Mt. Hood Skibowl |
17 |
Boarder |
|||
|
21 |
1/29/2012 |
Canyons Ski Resort |
19 |
||||
|
22 |
1/30/2012 |
Seven Springs Mountain Resort |
36 |
Skier |
|||
|
27 |
1/31/2012 |
Solitude Ski Resort |
74 |
Skier |
No |
||
|
23 |
2/1/2012 |
Squaw Valley |
51 |
Skier |
|||
|
26 |
2/4/2012 |
Sugarbush Resort |
41 |
Skier |
Yes |
||
|
33 |
2/4/2012 |
Ski Windham Mountain Resor |
54 |
Skier |
|||
|
24 |
2/5/2012 |
Keystone Ski Area |
58 |
Skier |
No |
||
|
25 |
2/5/2012 |
Ski Windham Mountain Resort |
54 |
Skier |
|||
|
30 |
2/6/2012 |
Mount Snow |
33 |
||||
|
28 |
2/8/2012 |
Vail |
37 |
Yes |
|||
|
29 |
2/9/2012 |
Keystone Ski Area |
72 |
Yes |
|||
|
31 |
2/11/2012 |
Jay Peak Resort |
29 |
Boarder |
Yes |
||
|
32 |
2/11/2012 |
Terry Peak Ski Area |
24 |
Skier |
No |
What do you think? Leave a comment.
If you like this let your friends know or post it on FB, Twitter or Linkedin
Copyright 2012 Recreation Law (720) Edit Law
Twitter: RecreationLaw
Facebook: Rec.Law.Now
Facebook Page: Outdoor Recreation & Adventure Travel Law
#RecreationLaw, #@RecreationLaw, #Cycling.Law #Fitness.Law, #Ski.Law, #Outside.Law, #Recreation.Law, #Recreation-Law.com, #Outdoor Law, #Recreation Law, #Outdoor Recreation Law, #Adventure Travel Law, #law, #Travel Law, #Jim Moss, #James H. Moss, #Attorney at Law, #Tourism, #Adventure Tourism, #Rec-Law, #Rec-Law Blog, #Recreation Law, #Recreation Law Blog, #Risk Management, #Human Powered, #Human Powered Recreation,# Cycling Law, #Bicycling Law, #Fitness Law, #Recreation-Law.com, #Backpacking, #Hiking, #Mountaineering, #Ice Climbing, #Rock Climbing, #Ropes Course, #Challenge Course, #Summer Camp, #Camps, #Youth Camps, #Skiing, #Ski Areas, #Negligence, #Snowboarding, #RecreationLaw, #@RecreationLaw, #Cycling.Law #Fitness.Law, #SkiLaw, #Outside.Law, #Recreation.Law, #RecreationLaw.com, #OutdoorLaw, #RecreationLaw, #OutdoorRecreationLaw, #AdventureTravelLaw, #Law, #TravelLaw, #JimMoss, #JamesHMoss, #AttorneyatLaw, #Tourism, #AdventureTourism, #RecLaw, #RecLawBlog, #RecreationLawBlog, #RiskManagement, #HumanPowered, #HumanPoweredRecreation,# CyclingLaw, #BicyclingLaw, #FitnessLaw, #RecreationLaw.com, #Backpacking, #Hiking, #Mountaineering, #IceClimbing, #RockClimbing, #RopesCourse, #ChallengeCourse, #SummerCamp, #Camps, #YouthCamps, #Skiing, #Ski Areas, #Negligence, #Snowboarding, sport and recreation laws, ski law, cycling law, Colorado law, law for recreation and sport managers, bicycling and the law, cycling and the law, ski helmet law, skiers code, skiing accidents, #Vail, #Breckenridge, #Mountain High Ski Resort, #Ski Ward, #Sugarloaf, #Silverton, Ski Apache, #Sugarloaft, #Heavenly, #Aspen, Mt Hood, Park City, #Copper, #Whiteface, Winter Park, #Steamboat, #Taos, #Keystone, #Canyons, Seven Springs, #Solitude, Ski Windham, Mount Snow, Jay Peak Terry Peak,
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Herbst et al. v. The Guilford Yatch Club Association, Inc. et al., 2009 Conn. Super. LEXIS 765
Posted: August 29, 2011 Filed under: Assumption of the Risk, Connecticut, Cycling, Legal Case | Tags: bicycle, biking, contributory negligence, Cycling, Duty to Wear a Helmet, helmet, malicious, Reckless, Wanton, Yacht Club Leave a commentHerbst et al. v. The Guilford Yatch Club Association, Inc. et al., 2009 Conn. Super. LEXIS 765
Sharon Herbst et al. v. The Guilford Yatch Club Association, Inc. et al.
NNHCV085022625S
SUPERIOR COURT OF CONNECTICUT, JUDICIAL DISTRICT OF NEW HAVEN AT NEW HAVEN
2009 Conn. Super. LEXIS 765
March 30, 2009, Decided
March 31, 2009, Filed
NOTICE: THIS DECISION IS UNREPORTED AND MAY BE SUBJECT TO FURTHER APPELLATE REVIEW. COUNSEL IS CAUTIONED TO MAKE AN INDEPENDENT DETERMINATION OF THE STATUS OF THIS CASE.
JUDGES: [*1] John F. Cronan, J.
OPINION BY: John F. Cronan
OPINION
FACTS
This personal injury action was commenced on August 14, 2008, by plaintiff Sharon Herbst, via service of writ, summons and complaint on the agents for service of defendants Guilford Yacht Club Association, Inc. and Unit Owners Association at Guilford Yacht Club, Inc. The plaintiff alleges that she suffered serious injuries when, as a business invitee of the defendants, she was thrown off of a malfunctioning bicycle owned and maintained by the defendants.
The plaintiff’s ten-count complaint alleges five counts against each defendant, with counts six through ten re-alleging the facts and claims in counts one through five. Counts one and six allege negligence for failure to inspect, maintain, house, and test the defective bicycle, failure to warn that the bike was unsafe, and failure to provide the plaintiff with a helmet or access to helmets. Counts two and seven allege loss of consortium on the part of Richard Herbst, husband of plaintiff Sharon Herbst. 1 Counts three and eight allege recklessness for the same acts or omissions described in counts one and six. Counts four and nine allege Connecticut Unfair Trade Practices Act (CUTPA) 2 violations [*2] on the ground that the defendants advertised free use of bicycles to increase business from transient club members while failing to take steps to ensure that the bicycles were safe for use, thus violating Connecticut public policy by placing profits ahead of safety and causing substantial injury to consumers and/or providing the defendant with an unfair advantage over competing marinas. Counts five and ten allege spoliation of evidence on the ground that the defendants repaired the bicycle in question while aware of the impending action.
1 Although Richard Herbst is a plaintiff in this action, the claims central to this motion solely involve Sharon Herbst and therefore the court will refer to her as “the plaintiff” for purposes of this decision.
2 Although the plaintiff fails to allege the violation of a particular statute in her complaint, both parties make arguments referring to the Connecticut Unfair Trade Practices Act, General Statutes §42-110a et seq., therefore the court will address their arguments under that statute.
On November 28, 2008, the defendants filed a motion to strike (# 117) paragraphs 12(e) and 12(f) of counts one and six, and counts three, four, eight and nine entirely. [*3] The defendants filed a memorandum of law in support (# 118). The plaintiff filed an objection to the motion to strike (# 120) and corresponding memorandum of law in opposition (# 121) on December 11, 2008. The parties presented oral arguments to the court on January 12, 2009.
DISCUSSION
[HN1] “The purpose of a motion to strike is to contest . . . the legal sufficiency of the allegations of any complaint . . . to state a claim upon which relief can be granted.” (Internal quotation marks omitted.) Fort Trumbull Conservancy, LLC v. Alves, 262 Conn. 480, 498, 815 A.2d 1188 (2003). “A motion to strike challenges the legal sufficiency of a pleading, and, consequently, requires no factual findings by the trial court.” (Internal quotation marks omitted.) Bernhard-Thomas Building Systems, LLC v. Dunican, 286 Conn. 548, 552, 944 A.2d 329 (2008). “[I]n determining the sufficiency of a complaint challenged by a defendant’s motion to strike, all well-pleaded facts and those facts necessarily implied from the allegations are taken as admitted.” Violano v. Fernandez, 280 Conn. 310, 318, 907 A.2d 1188 (2006).
Counts One and Six
The defendants move to strike paragraphs 12(e) and (f) of counts one and six. These [*4] two paragraphs allege that the defendants negligently caused the plaintiff’s injuries “in that the defendant did not provide the plaintiff with a bicycle helmet when they could and should have done so” and “in that the defendant failed to make bike helmets visible and/or readily assessable [sic] to business invitees.” The defendants argue that “there exists no legal duty on the part of the defendants to provide and/or make available a bicycle helmet to an adult.” (Motion to Strike, p. 5.) The plaintiff responds that the defendant cannot move to strike only certain portions of a count, but rather only a count as a whole, and that, even if the court were to examine the merits of the defendants’ arguments, the plaintiff sufficiently pleaded a claim for common-law negligence on the ground that the defendants failed to maintain safe premises for business invitees by offering bicycles to visiting boaters without providing helmets. (Memorandum in Opposition, pp. 4-5.)
[HN2] “‘Although there is a split of [opinion], most trial courts follow the rule that a single paragraph of a pleading is subject to a motion to strike only when it attempts to set forth all of the essential allegations of a cause [*5] of action or defense . . . [O]nly an entire count of a counterclaim or an entire special defense can be subject to a motion to strike, unless the individual paragraph embodies an entire cause of action or defense . . . Prior to the 1978 Practice Book revision, a motion to strike . . . individual portions or paragraphs of a count did not lie if the count as a whole stated a cause of action . . . Arguably under the present rules, a motion to strike may properly lie with respect to an individual paragraph in a count . . . However, the weight of [opinion] in the Superior Court is that the motion does not lie, except possibly where the subject paragraph attempts to state a cause of action.’ (Citations omitted; internal quotation marks omitted.) Trimachi v. Workers’ Compensation Commission, Superior Court, judicial district of New Haven, Docket No. CV 97 0403037 (June 14, 2000, Devlin, J.) (27 Conn. L. Rptr. 681, 2000 Conn. Super. LEXIS 1548).” Wright v. 860 Main, LLC, Superior Court, judicial district of Hartford, Docket No. CV 06 5007079, (May 21, 2007, Tanzer, J.) (43 Conn. L. Rptr. 458).
The plaintiff alleges the breach of a variety of duties under its general claim of negligence in counts one and six. The plaintiff’s [*6] claims relating to the defendants’ alleged failure to provide bicycle helmets identifies a purported duty that may be properly recognized as a claim entirely distinct from the alleged duties pertaining to the maintenance of the bicycle. As such, this is an instance where it is appropriate to review the legal sufficiency of the identified individual paragraphs via a motion to strike.
The claims in paragraphs 12(e) and (f) of counts one and six are not legally sufficient to state a claim upon which relief can be granted, and therefore the court grants the defendant’s motion to strike those paragraphs. The plaintiffs claim that the defendants had a common-law duty to provide bicycle helmets to adults finds no support in Connecticut law. The only bicycle helmet statute in Connecticut, General Statutes §14-286d, requires protective headgear solely for children under the age of sixteen. 3 The plaintiff is older than sixteen and therefore the requirements of §14-286d are inapplicable.
3 The relevant portions of §14-286d state: [HN3] “(b) No child fifteen years of age or under shall operate a bicycle on the traveled portion of any highway unless such child is wearing protective headgear which conforms [*7] to the minimum specifications established by the American National Standards Institute or the Snell Memorial Foundation’s Standard for Protective Headgear for Use in Bicycling. Failure to comply with this section shall not be a violation or an offense. Failure to wear protective headgear as required by this subsection shall not be considered to be contributory negligence on the part of the parent or the child nor shall such failure be admissible in any civil action . . . (d) A person, firm or corporation engaged in the business of renting bicycles shall provide a bicycle helmet conforming to the minimum specifications established by the American National Standards Institute or the Snell Memorial Foundation’s Standard for Protective Headgear for Use in Bicycling to any person under sixteen years of age who will operate the bicycle if such person does not have a helmet in his possession. A fee may be charged for the helmet rental. Violation of any of the provisions of this subsection shall be an infraction.”
[HN4] “The existence of a duty is a question of law and only if such a duty is found to exist does the trier of fact then determine whether the defendant violated that duty in the particular [*8] situation at hand . . . [T]he test for the existence of a legal duty of care entails (1) a determination of whether an ordinary person in the defendant’s position, knowing what the defendant knew or should have known, would anticipate that harm of the general nature of that suffered was likely to result, and (2) a determination, on the basis of a public policy analysis, of whether the defendant’s responsibility for its negligent conduct should extend to the particular consequences or particular plaintiff in the case . . . The first part of the test invokes the question of foreseeability, and the second part invokes the question of policy . . . [W]e are not required to address the first prong as to foreseeability if we determine, based on the public policy prong, that no duty of care existed.” (Citation omitted; internal quotation marks omitted.) Neuhaus v. Decholnoky, 280 Conn. 190, 217-18, 905 A.2d 1135 (2006).
The plaintiff has not identified any prior Connecticut court that recognizes the duty of a bicycle purveyor to provide a helmet to a would-be cyclist over the age of sixteen. Several superior court decisions have addressed the related question of whether there exists a duty [*9] to wear a bicycle helmet in the context of a special defense of contributory negligence. The court in Dubicki v. Auster, Superior Court, judicial district of New London at Norwich, Docket No. 107712 (March 8, 1996, Hendel, J.) (16 Conn. L. Rptr. 301, 1996 Conn. Super. LEXIS 671), considered the question of “whether an adult bicycle rider can be considered contributorily negligent for his or her failure to wear a bicycle helmet while riding his or her bicycle.” The court noted that the language of §14-286d, “as well as a review of the legislative history . . . reveals that the statute was primarily designed to encourage the use of headgear by children” and that “[t]here is no similar statute for adults.” Id., 302, 1996 Conn. Super. LEXIS 671. The court concluded that “[t]here being no statutory duty imposed on an adult rider to wear [a helmet], there can be no contributory negligence for an adult rider’s failure to do so.” Id.
In an analogous case, the court in Ruth v. Poggie, Superior Court, judicial district of Tolland at Rockville, Docket No. CV 93 52750 (November 22, 1993, Klaczak, J.) [10 Conn. L. Rptr. 412, 1993 Conn. Super. LEXIS 3090], concluded that an injured motorcyclist could not be found contributorily negligent for failing to wear a helmet because “there is [*10] no duty, statutory or otherwise, for motorcycle operators in Connecticut to take the safety precaution to wear a protective helmet. Thus . . . it cannot be said that the failure to wear a motorcycle helmet amounts to negligence on the party of the rider.”
As this court agrees with those decisions holding that an adult cyclist does not have a duty to wear a helmet, and further observes that the legislature clearly decided to limit any such duty to children under the age of sixteen, this court now holds that a bicycle purveyor is under no duty to provide an adult bicyclist with a helmet. The practical reason for drawing this line is self-evident: an adult is fully capable of rationalizing the risks of riding a bicycle with or without a helmet, and may choose to act accordingly. The legislature’s policy of allowing each individual adult to choose whether to use a helmet is exemplified by the age cap on the protective headgear requirement for bicyclists in §14-286d as well as the legislature’s repeal of the so-called “motorcycle helmet law” in 1976. See General Statutes (Rev. to 1975) §14-289e; Ruth v. Poggie, supra, Superior Court, Docket No. CV 93 52750. As illustrated in this case, if [*11] the plaintiff was concerned about her lack of a helmet, she could have chosen not to ride the bicycle. The defendants did not owe the plaintiff a duty to provide a bicycle helmet and the court therefore grants the defendants’ motion to strike paragraphs 12(e) and (f) of counts one and six.
Counts Three and Eight
The defendants move to strike counts three and eight on the ground that the plaintiff has “failed to plead facts alleging malicious, wanton and/or reckless conduct on the part of the defendants” and “merely reiterate the claims made in the negligence counts.” (Motion to Strike, p. 9.) The plaintiff responds that “the specific facts alleged in the case at bar are sufficient to satisfy the elements necessary to support a claim for reckless conduct so as to survive a motion to strike.” (Memorandum in Opposition, p. 6.) The court agrees with the plaintiff and denies the defendants’ motion to strike counts three and eight.
[HN5] “Recklessness is a state of consciousness with reference to the consequences of one’s acts . . . It is more than negligence, more than gross negligence . . . The state of mind amounting to recklessness may be inferred from conduct. But, in order to infer it, there [*12] must be something more than a failure to exercise a reasonable degree of watchfulness to avoid danger to others or to take reasonable precautions to avoid injury to them . . . [S]uch aggravated negligence must be more than any mere mistake resulting from inexperience, excitement, or confusion, and more than mere thoughtlessness or inadvertence, or simply inattention . . . Although there is a difference between negligence and a reckless disregard of the rights or safety of others, a complaint is not deficient so long as it utilizes language explicit enough to inform the court and opposing counsel that both negligence and reckless misconduct are being asserted.” (Citations omitted; internal quotation marks omitted.) Craig v. Driscoll, 262 Conn. 312, 342-43, 813 A.2d 1003 (2003).
The plaintiff utilizes language explicit enough to inform the court and the defendants that both negligence and reckless misconduct are being asserted. Furthermore, the plaintiff has alleged facts that, viewed in the light most favorable to sustaining the claim and treated as admitted for purposes of deciding this motion, support a claim for recklessness. The plaintiff’s detailed allegations regarding the purchase, [*13] maintenance and inspection of the bicycle are sufficient to sustain a claim of recklessness. The defendants’ motion to strike counts three and eight is therefore denied.
Counts Four and Nine
The defendants move to strike comas four and nine on the ground that the plaintiff’s CUTPA claims are legally insufficient because “(1) the alleged wrongful act was not conducted in the course of the defendant’s primary line of business; and (2) the plaintiffs cannot establish that Sharon Herbst suffered an ‘ascertainable loss’ as required by General Statutes §42-110g(a).” (Motion to Strike, pp. 14-15.) The plaintiff argues that she has established a prima facie CUTPA claim because she alleges in the complaint that the defendants operate a full service recreational facility that includes the advertising and provision of bicycles to increase business at the expense of competitors and that the solicitation of cycling business while providing unsafe bicycles offends public policy. (Memorandum in Opposition, pp. 10-11.) The plaintiff also argues that her personal injuries are an ascertainable loss recoverable in a claim for a CUTPA violation. Id. The defendants’ arguments rely on questions of fact not [*14] properly addressed at this juncture and therefore the court denies the motion to strike counts four and nine.
[HN6] “It is well settled that whether a defendant’s acts constitute . . . deceptive or unfair trade practices under CUTPA, is a question of fact for the trier . . . To establish a CUTPA violation, a claimant’s evidence must establish that the conduct at issue falls within one of three criteria. A court must decide whether the conduct (1) offends public policy, (2) is immoral, unethical, oppressive or unscrupulous or (3) causes substantial injury to consumers, competitors or other businessmen . . . Whether the defendant is subject to CUTPA is a question of law, not fact.” McCann Real Equities Series XXII, LLC v. David McDermott Chevrolet, Inc., 93 Conn.App. 486, 520-21, 890 A.2d 140 (2006). “[A] CUTPA violation may not be alleged for activities that are incidental to an entity’s primary trade or commerce.” Id., 523. “[T]he touchstone for a legally sufficient CUTPA claim is the implication that the acts complained of have ‘an entrepreneurial or business aspect.'” Simms v. Candela, 45 Conn. Supp. 267, 273, 711 A.2d 778 (1998) [21 Conn. L. Rptr. 479], quoting Haynes v. Yale-New Haven Hospital, 243 Conn. 17, 38, 699 A.2d 964 (1997).
Without [*15] evidence from either party, and accepting the facts as alleged in the complaint as true for purposes of resolving this motion, the court cannot say definitively that cycling is not a component of the defendants’ primary line of business. The plaintiff alleges that the defendant operated and managed a commercial boating marina but also repeatedly alleges that bicycling was a component of that operation. The court is unwilling to draw adverse factual inferences that the bicycling business was merely incidental to the marina business without additional facts not properly presented in a motion to strike. As such, the court cannot strike counts four and nine on this ground.
Similarly, the plaintiff alleges a variety of losses including those for physical injuries, medical care, lost wages, and the loss of enjoyment of life, and alleges that her damages resulted in part because of the defendants’ alleged CUTPA violations. Both parties acknowledge that there is a split of opinion in the superior court regarding whether damages for personal injuries may be recoverable under CUTPA. See, e.g., Rodriguez v. Westland Properties, Inc., Superior Court, judicial district of Ansonia-Milford at Milford, [*16] Docket No. CV 02 077228 (March 17, 2004, Upson, J.) (36 Conn. L. Rptr. 702, 2004 Conn. Super. LEXIS 615) (“[d]espite CUTPA’s broad language and remedial purpose, the plaintiff’s alleged [slip and fall] injuries do not satisfy the distinction alluded to in Haynes because they are personal, rather than economic”); Simms v. Candela, supra, 45 Conn.Sup. 274 (“[the plaintiff], like most personal injury plaintiffs, alleges that he has suffered economic losses, including medical expenses and lost wages, as a result of his fall. Assuming this allegation to be true, he is a ‘person who suffers [an] ascertainable loss of money’ “). Although the plaintiff’s claims may appear to be only tenuously derived from the defendants’ “entrepreneurial or business aspect”; see Haynes v. Yale-New Haven Hospital, supra, 243 Conn. 32-35; the plaintiff has adequately pleaded conduct and damages that could potentially be construed as ascertainable losses derived from a violation of CUTPA. The “issue as to whether this loss resulted from the CUTPA violation complained of . . . is a factual issue appropriately left to the judge or jury hearing the case.” Simms v. Candela, supra, 45 Conn.Sup. 274. The court therefore denies the defendants’ [*17] motion to strike counts four and nine.
CONCLUSION
For the foregoing reasons, the court grants the defendants’ motion to strike paragraphs 12(e) and 12(f) of counts one and six, and denies the motion to strike counts three, four, eight and nine.
The Court
Cronan, J.
Ski Area Fatalities -2010-11 Ski Season to date: 4/18/11
Posted: April 18, 2011 Filed under: Skiing / Snow Boarding | Tags: fatality, helmet, ski area, skiing, snowboarding Leave a commentThis list is not guaranteed to be accurate. The information is found from web searches and news dispatches. If you have a source for information on any fatality please leave a comment.
Yellow Highlighted Fatality was an employee at work
If this information is incorrect or incomplete please let me know. Thanks.
| # | Date | Resort | State | Age | Skier Ability | Ski/ Tele /Boarder | Cause of Death | Helmet |
| 1 | 11/22 | Wolf Creek Ski Area | CO | 41 | Expert | Skier | No | |
| 2 | 12/2 | Snowmass | CO | 22 | Skier | Yes | ||
| 3 | 12/12 | Cannon Mountain | NH | 18 | Skier | No | ||
| 4 | 12/18 | Wolf Creek Ski Area | CO | 35 | Expert | Boarder | hyperextended his neck backward, rupturing an artery | |
| 5 | 12/19 | Cannon Mountain ski resort | NH | 31 | Boarder | |||
| 6 | 12/21 | Beaver Creek Ski Area | CO | 59 | Skier | blunt force trauma | Yes | |
| 7 | 12/24 | Hogadon Ski Area | WY | 5 | Skier | massive chest injuries | Yes | |
| 8 | 12/24 | Hogadon Ski Area | WY | 22 | Boarder | massive chest injuries | No | |
| 9 | 12/26 | Aspen Mountain | CO | 77 | Expert | Skier | suffering a broken | |
| 10 | 12/27 | Mountain High ski resort | CA | 24 | Beginner | Boarder | No | |
| 11 | 12/28 | Discovery Ski Area | MT | 21 | Expert | Skier | blunt force trauma injuries | Yes |
| 12 | 12/29 | China Peak Ski Area | CA | 29 | Boarder | asphyxiation | ||
| 13 | 12/29 | Whitefish Mountain Resort | MT | 16 | Skier | Taken off life support 1/2/11 | ||
| 14 | 1/2 | Keystone Ski Resort | CO | 38 | Boarder | blunt force trauma | Yes | |
| 15 | 1/9 | Whitefish Mountain Resort | MT | 29 | Boarder | Yes | ||
| 16 | 1/9 | Snowbowl | AZ | 22 | Boarder | |||
| 17 | 1/11 | Heavenly Mountain Resort | 57 | blunt force trauma to the left side of her chest | ||||
| 18 | 1/12 | Jackson Hole Mountain Resort | WY | 18 | Skier | Instantly upon hitting tree | ||
| 19 | 1/15 | Sugarloaf | ME | 16 | Skier | Yes | ||
| 20 | 1/16 | Windham Mountain | NY | 18 | Beginner | Skier | Extensive Head Injuries | No |
| 21 | 1/19 | Mt. Rose Resort | NV | 15 | Boarder | Head injuries | No | |
| 22 | 1/22 | Granlibakken Resort | CA | 22 | Boarder | blunt force trauma | ||
| 23 | 1/26 | Keystone Resort | CO | 22 | severe blunt force trauma | No | ||
| 24 | 1/27 | Anthony Lakes Ski Area | OR | 24 | collided with a tree and suffered head and neck injuries | |||
| 25 | 1/28 | Crystal Mountain | WA | 67 | severed his spinal cord | |||
| 26 | 1/30 | Mount Hood Meadows Ski Resort | OR | 41 | Skier | No | ||
| 27 | 2/4 | Hunt Hollow | NY | 54 | Yes | |||
| 28 | 2/4 | Hunt Hollow Ski Club | NY | 54 | Skier | Yes | ||
| 29 | 2/6 | Eldora Mountain Resort | CO | 35 | Expert | Boarder | ||
| 30 | 2/9 | Sun Valley Resort | ID | 49 | Skier | trauma to his head and chest | No | |
| 31 | 2/11 | Windham Mountain Ski Resort | NY | 69 | Novice | Skier | extensive head injuries | No |
| 32 | 2/11 | Cooper Mountain Ski Area | CO | 21 | fractured skull, a fractured right knee, a broken leg, a broken wrist, many facial fractures and lacerations to his liver and kidney | |||
| 33 | 2/12 | Snowshoe Mountain Resort | WV | 22 | ||||
| 34 | 2/16 | Sun Valley Resort | ID | |||||
| 35 | 2/17 | The Yellowstone Club | MT | 45 | ||||
| 36 | 2/18 | Spirit Mountain | WI | 12 | Skier | |||
| 37 | 2/20 | Mount Shasta | CA | 23 | ||||
| 38 | 2/23 | Arapahoe Basin | CO | 32 | Skier | blunt force trauma to the chest | No | |
| 39 | 2/27 | Northstar-at-Tahoe | CA | 30 | Boarder | impact of hitting a tree or suffocation from landing headfirst in the snow bank | No | |
| 40 | 2/28 | California’s Kirkwood Ski area | CA | 25 | Skier | internal bleeding | ||
| 41 | 3/11 | Snowmass Mtn | CO | 73 | Skier | multiple systems trauma | ||
| 42 | 3/14 | Beaver Creek Ski Area | CO | 18 | Expert | Skier | died from head trauma | Yes |
| 43 | 3/16 | Welch Village Ski Area | MN | 65 | Skier | |||
| 44 | 3/16 | Alyeska Resort | AK | 53 | Skier | |||
| 45 | 3/17 | Howelsen Hill Ski Area | CO | 19 | Skier | |||
| 46 | 3/4 | Blue Mountain Ski Resort | PA | 73 | Skier | head injury | Yes | |
| 47 | 3/22 | Eldora Mountain Resort | CO | 21 | Skier | No | ||
| 48 | 3/26 | West Mountain Ski Resort | NY | 17 | Skier | head injuries and went into cardiac arrest | No | |
| 49 | 3/25 | Winter Park Resort | CO | 39 | Skier | Hit a tree | Yes | |
| 50 | 4/8 | Winter Park Resort | CO | 11 | Skier | Collision with 2 other skiers | Yes |
First Update: Ski Area Fatalities -2010-11 Ski Season
Second Update: Ski Area Fatalities -2010-11 Ski Season to date: 1/5/1
Third Update: Ski Area Fatalities -11 Ski Season to date: 1/14/11
Fourth Update: Ski Area Fatalities 2010 -11 Ski Season to date: 3/2/11
Fifth Update: Ski Area Fatalities -2010-11 Ski Season to date: 3/26/11
What do you think? Leave a comment.
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Vancouver BC, Canada passes helmet law for cyclists and skaters
Posted: March 2, 2008 Filed under: Cycling | Tags: Canada, helmet, Law, Vancouver, Vancouver City Council, Vancouver Police Department Leave a commentThe Columbian is reporting that the Vancouver City Council will soon require juvenile and adult cyclists and skaters to wear a helmet. All bicycles, skateboards, roller skates, roller blades, scooters and unicycles on public streets, sidewalks and trails will be required to wear a helmet.
The article Vancouver city council enacts helmet law states that Vancouver has a cyclist fatality rate is five times the Canadian national average. The law also provided for $5000 dollars for education and helmets for low income children. The law will be enforced by the Vancouver Police Department.
Sound like the money could be also spent on a driver education program. Five times the Canadian national fatality rate!
A new idea that makes sense in helmets: the Bern Hard Hat
Posted: March 2, 2008 Filed under: Uncategorized | Tags: Bern, Canadian Institute for Health Information, Canadian Medical Association Journal, Canadian Standards Association, Head injury, helmet, skiing Leave a commentMany people have heard my comments on helmets for the outdoor recreation industry. Very few helmets, if any, are fitted properly, worn properly or used properly. Many helmets are used in ways that increase the risk or are worthless because head injuries do not occur in the sport.
Examples are studies from Ski-Injury.com that showed helmets are only effective in skiing for slow injuries1,2 and that head injuries only represent 10-20% of all skiing injuries3 in one study and only 2 to 8% in another.4 For males between the ages of the late teens to their early thirties a helmet will not affect the mortality rate.5 Helmets do reduce head injuries.6 Several studies have shown the most important aspect of wearing a helmet on the slopes is to protect your head from being hit by a chairlift or lift if you fall down.7
The other argument with helmets is the issues of risk homeostasis or risk compensation. This theory states that the safer you feel, the more likely you are to increase your risk. Wearing a helmet will subsequently increase your risk of an accident because you feel safer with the helmet.8,9 Consequently injuries among skiers are highest among those that are wearing helmets.10
One place a helmet may make a difference is the courtroom. Judges and appellate courts invariably comment about whether the plaintiff in a lawsuit was wearing a helmet when the plaintiff suffered a head injury.
At the same time, helmets in some activities are needed. For skiing, if you recognize the possible risk homeostasis issues, buy a helmet that fits properly, properly wear the helmet and throw the helmet away if you have a major impact, they will prevent head injuries, not death, but injuries. Throw the helmet away? Yes!
Helmets come with disclaimers that say they should be discarded and destroyed if they suffer a major impact. This is because 99% of the helmets sold for most sports are sold with a plastic or other hard shell surrounding an EPS liner. The protection afforded by the helmet is combination of the shell and the liner. EPS is that hard foam under the soft padding that gives the helmet its protection. Because of the way the EPS and shell are molded together, cracks in the EPS are rarely visible from the inside. Moreover if there is a liner glued to the EPS. The EPS is difficult to remove from the shell and doing so ruins the helmet. Once a crack occurs in the EPS the structural integrity of the helmet is compromised and the helmet should be discarded.
Bern has come up with a slightly different approach to this problem. They have helmets, which they call Hard Hats that are lined with Brock foam.11 This foam is a multi-impact liner that allows the user to experience several if not dozens of impacts without having to replace the hard hat. Besides the foam is soft and very comfortable to wear, breathable and allows air to circulate as well as wicking.
The problem is the foam does not meet the current standards to receive ASTM or EN approval. So technically it is not a helmet but a hard hat. The buyer is faced with a decision to buy a helmet that does not provided the protection that an EPS lined helmet does or to buy a helmet that provides less protection, but more protection for the injuries helmets do really protect the wearer from. A real catch 22 for the buyer, but one worth studying. Bern offers all its helmets with Brock Foam with EPS if you like the style, but want different protection.
You can take a lot of falls. The choice is up to you, measured better protection at an minute amount for a small percentage of risk or a helmet that can take a beating, protect you head and last longer than one trip to the slopes.
1 Helmets on the slopes….Heads you win?
3 Helmets on the slopes….Heads you win?
4 BackTalk; Helmets Do Not Make The Ski Slopes Safer
5 Shealy research sheds light on helmet use
6 Helmet Safety, Standards and Design
8 Risk Compensation & Helmet Wearing. June 2001
9 Helmets
10 BackTalk; Helmets Do Not Make The Ski Slopes Safer
11 Bern Catalog
A helmet manufacture understands the issues
Posted: February 19, 2008 Filed under: Uncategorized | Tags: American Dental Association, Canadian Medical Association Journal, Canadian Standards Association, Concussion, Head injury, helmet, Mouthguard, Uvex Leave a commentUvex has been selling ski and bicycle helmets for a while. Their helmets, from a legal standpoint, are about like everyone else’s. You can argue color, shape, design or air flow makes them standout, but the legal reality is Uvex helmets are a one-hit helmet just like everyone else’s. However Uvex has realized and have eliminated a flaw in their protection plan for customers. All helmet manufactures for the skiing, biking and other industries had missed a major component of head injuries.
Head injuries come in two different types, 1.) Bruises and cuts and 2.) Concussions. Most helmets do an adequate job of protecting against bruises and cuts to the head. At the same time, a plastic bowl and duct tape will also do a fairly good job for a lot less money. Concussions are the real threat to the long term health of participants.1
One of the major sources of concussions is blows to the jaw2. That is why football players and many other sports participants wear a helmet and a mouthguard.
Mouthguards protect three ways. Mouthguards protect against neck injuries, they protect teeth and they protect against concussions3. The protection against concussions is the most important thing a mouthguard does.4
At present The American Dental Association5 recommends wearing custom mouthguards for the following sports: acrobats, basketball, boxing, field Hockey, football, gymnastics, handball, ice hockey, lacrosse, martial arts, racquetball, roller hockey, rugby, shot putting, skateboarding, skiing, skydiving, soccer, squash, surfing, volleyball, water polo, weightlifting, wrestling.6 This list is old and has not kept with the increase in the variety of sports people are undertaking today.
Mouthguards take on an even bigger role in sports where the injuries to the head occur by hitting the jar or face such as skiing, biking and whitewater rafting.
Uvex has recognized this issue and is now selling an LP Mouthguard along with their ski and bike helmets. The mouthguard appears to be like those we used in junior high (way before middle school) football. It can be custom formed by boiling the mouthguard and then forming it to your teeth.
If you are serious about protecting yourself or your customers from injuries, then you need to understand the issues.
- What are the real types of injuries my customers face?
- What protections are available?
- What protections that are being used by the industry work?
- What protections being used by the industry don’t work?
- Why?
Based on the research from other sports, a person wanting to protect against head injuries should be wearing a helmet and a mouthguard. Thanks Uvex.
1 Journal of Athletic Training
4 Sportsguard Laboratories, Inc.





