Sentences with phrase «also for emotional distress»

Not exact matches

Maternal insensitivity and emotional unavailability influences the infant's ability to develop a capacity for arousal regulation.25 Insensitive maternal behaviour results in increased anger, distress and crying — together, these might reflect an infant's poor arousal regulation.26 PPD also alters the capacity to regulate the reciprocal interaction between mothers and their infant via two patterns: intrusiveness and withdrawal.
Vasopressin also increases blood pressure and can cause nausea and vomiting, which may be why many babies throw up after crying for a long time... The baby who cries from physical or even emotional distress in your arms doesn't have that same cortisol rise.
Best known for its calming effects on emotional distress, this lovely hydrosol is also beneficial for general skin care, and makes a soothing addition to room and body sprays.
Children also see reduced risks for failure such as decreases in conduct problems, aggressive behavior, and emotional distress (Durlak, Weissberg, Dymnicki, Taylor, & Schellinger, 2011).
In addition to damages for replacement of your pet and veterinary bills, it may be possible to also recover damages for emotional distress.
Likewise Lara's first animal kill, which is also an emotional and somewhat distressing scene, has its impact lessened by the fact that slaughtering animals bags you XP, but has no other reason for being in the game.
Wodiczko has also developed «instruments» to facilitate survival, communication, and healing for homeless people and immigrants; these therapeutic devices — which Wodiczko envisions as technological prosthetics or tools for empowering and extending human abilities — address physical disability as well as economic hardship, emotional trauma, and psychological distress.
Lohan also brought claims for unjust enrichment and intentional infliction of emotional distress.
Damages usually include medical expenses and lost income, but can also include compensation for pain and suffering, emotional distress, and loss of consortium.
Certain family members may also have individual claims for damages as a result of the decedent's death, including loss of consortium and emotional distress.
If the intentional infliction of emotional distress results in bodily harm as well as emotional harm, however, recovery for the physical harm may also be obtained.
An injured person may also recover damages for the pain and suffering, emotional distress, physical impairment, the inconvenience of the accident, disfigurement, and other non-pecuniary damages.
A person can also sue for acts intended to cause emotional distress.
To recover in an action for intentional infliction of emotional distress, a plaintiff must show (1) conduct that is intentional or reckless; (2) conduct that is also extreme and outrageous; (3) a causal connection between the wrongful conduct and the emotional distress; and (4) emotional distress that is severe.
When the Chaparros filed their lawsuit against Carnival arising out of their daughter's death, and also brought a claim on behalf of her brother for the intentional infliction of emotional distress, the United States District Court Judge dismissed the claim, ruling that under the federal pleading standards, the Plaintiffs had failed to properly state a claim for relief.
Also, there is a recognized legal theory for these damages called «negligent infliction of emotional distress» that allows financial recovery from those responsible for an accident.
Our attorneys will also calculate the full value of your losses for inclusion in your claim, including medical costs, lost wages, pain and suffering, and emotional distress.
A victim can also recover compensation for pain and suffering or emotional distress.
If you are present and witness a negligent injury or death of a family member, you may also be able to recover damages for severe emotional distress.
Depending on the severity of the accident, damages in bus accident cases may also include compensation for loss of spousal support, emotional distress, mental anguish, causally related psychological harm, or wrongful death.
The jury had decided the case in favor of plaintiff, who alleged negligence, negligence per se and intentional infliction of emotional distress, concluding also that defendant nursing home had acted with reckless disregard for the rights of others, resulting in a $ 10,000 punitive damage award tacked onto the $ 1.2 million in compensatory damages.
In addition to potential costs associated with future medical procedures and lifetime care, a spinal cord injury victim may also recover compensation for lost income, lost earning capacity, emotional distress, mental anguish, loss of spousal companionship, loss of the use of a body part, and loss of enjoyment of life.
And this is also why if you were involved in a car accident and did not suffer bodily injury, Texas law prevents you from suing for emotional distress or mental anguish.
The employee can also recover, like all LAD plaintiffs, for emotional distress damages — even if they never treated with any medical professional — as well as punitive damages.
Basics of Personal Injury Insurance: Although most common in cases connected to automobile accidents, this type of coverage may also be provided for personal injuries and emotional distress resulting from defamation or libel.
For example, Chinese caregivers displayed a tendency for collective decision - making regarding important decisions, adopted a fatalistic explanation for the care recipients» illness, experienced a sense of guilt and shame, 16, 17 and had reservations in expressing their feelings to avoid placing unnecessary burden on other family members.16, 18 Familial obligation to care for the family member with cancer was also emphasised.19 Distress was often experienced in terms of physical symptoms, and emotional coping involved the strategy of endurance.17 Since these culturally derived attitudes and perceptions frame the caregiving experience, interventions that are culturally sensitive, patient - centred and theoretically motivated have been advocatedFor example, Chinese caregivers displayed a tendency for collective decision - making regarding important decisions, adopted a fatalistic explanation for the care recipients» illness, experienced a sense of guilt and shame, 16, 17 and had reservations in expressing their feelings to avoid placing unnecessary burden on other family members.16, 18 Familial obligation to care for the family member with cancer was also emphasised.19 Distress was often experienced in terms of physical symptoms, and emotional coping involved the strategy of endurance.17 Since these culturally derived attitudes and perceptions frame the caregiving experience, interventions that are culturally sensitive, patient - centred and theoretically motivated have been advocatedfor collective decision - making regarding important decisions, adopted a fatalistic explanation for the care recipients» illness, experienced a sense of guilt and shame, 16, 17 and had reservations in expressing their feelings to avoid placing unnecessary burden on other family members.16, 18 Familial obligation to care for the family member with cancer was also emphasised.19 Distress was often experienced in terms of physical symptoms, and emotional coping involved the strategy of endurance.17 Since these culturally derived attitudes and perceptions frame the caregiving experience, interventions that are culturally sensitive, patient - centred and theoretically motivated have been advocatedfor the care recipients» illness, experienced a sense of guilt and shame, 16, 17 and had reservations in expressing their feelings to avoid placing unnecessary burden on other family members.16, 18 Familial obligation to care for the family member with cancer was also emphasised.19 Distress was often experienced in terms of physical symptoms, and emotional coping involved the strategy of endurance.17 Since these culturally derived attitudes and perceptions frame the caregiving experience, interventions that are culturally sensitive, patient - centred and theoretically motivated have been advocatedfor the family member with cancer was also emphasised.19 Distress was often experienced in terms of physical symptoms, and emotional coping involved the strategy of endurance.17 Since these culturally derived attitudes and perceptions frame the caregiving experience, interventions that are culturally sensitive, patient - centred and theoretically motivated have been advocated.20
Food may be used in excess as a tool for consoling or pacifying emotional needs of the child by the parent31 or to self - soothe by the child.32, 33 Alternatively, family violence is distressing and may cause affective dysregulation, leading to decreased impulse control and excessive caloric intake.34 More direct biological mechanisms are also plausible.
Research from the United States reported prevalence rates as high as 9 % for anxiety disorders and 2 % for depression among preschool children.4 A recent study in Scandinavia also found 2 % of children to be affected by depression, but rates for anxiety disorders were much lower (1.5 %).5 While most childhood fears and transient sadness are normative, some children suffer from emotional problems that cause significant distress and impairment, limiting their ability to develop age - appropriate social and pre-academic skills and / or participate in age - appropriate activities and settings.
Specifically, we assess whether early maturation is associated with perceived popularity, but possibly also with increased risk for rumors and gossip and whether such reputational factors help account for some of the emotional distress experienced by earlier maturing girls.
We identified greater general stress levels, greater vulnerability to distress in the marital relationship and lower well - being for women compared to men (see also Almeida & Kessler, 1998) as well as greater use of rumination and negative emotional expression concerning individual coping for women compared to men (Tamres et al., 2002).
The administrative law judge found that imposing the pet deposit constituted discrimination under the Fair Housing Act, and awarded not only the refund of the deposit, but also damages to the tenant for emotional distress...
The administrative law judge found that imposing the pet deposit constituted discrimination under the Fair Housing Act, and awarded not only the refund of the deposit, but also damages to the tenant for emotional distress, embarrassment, humiliation, loss of housing opportunity and inconvenience, as well as a civil penalty payable to HUD.
a b c d e f g h i j k l m n o p q r s t u v w x y z