The Court determined (1) when stating a claim for a negligence action in which medical monitoring is sought as a remedy, a plaintiff may satisfy the injury requirement by alleging that additional medical monitoring is reasonably required beyond the standard recommendations.
Miller, Hayley, "Summary of Sadler v. PacifiCare of Nevada, Inc., 130 Nev. Adv. Op. 98" (2014). Nevada Supreme Court Summaries. 842.