subsequentTreatment
P61771
predicate
Indicates that one treatment occurs after and in response to a prior treatment or medical event.
Sample triples (14)
| Subject | Object |
|---|---|
| Slaughter-House Cases | frequently criticized by scholars and some justices ⓘ |
| Slaughter-House Cases | rarely relied upon to expand civil rights protections ⓘ |
| majority opinion in Bowers v. Hardwick |
majority opinion in Bowers v. Hardwick
self-linksurface differs
ⓘ
surface form:
criticized in later Supreme Court opinions including Lawrence v. Texas
|
| Scott v. Illinois | Clarified and limited by Alabama v. Shelton regarding suspended sentences ⓘ |
| Chaplinsky v. New Hampshire | fighting words doctrine later narrowed by subsequent Supreme Court decisions ⓘ |
| Akron v. Akron Center for Reproductive Health | partially limited by Planned Parenthood v. Casey ⓘ |
| United States v. Von's Grocery Co. | narrowed by later, more effects-based merger decisions ⓘ |
| Federal Baseball Club v. National League | reaffirmed in Toolson v. New York Yankees ⓘ |
| Federal Baseball Club v. National League | partially limited in Flood v. Kuhn ⓘ |
| Bliss v. Attorney General of Canada | approach to pregnancy discrimination later rejected by the Supreme Court of Canada ⓘ |
| Abood v. Detroit Board of Education | criticized in Knox v. Service Employees International Union, Local 1000 ⓘ |
| Abood v. Detroit Board of Education | criticized in Harris v. Quinn ⓘ |
| The Thomas Jefferson (1825) | its tidewater limitation was rejected by later Supreme Court jurisprudence ⓘ |
| Frank v. Mangum | partially limited by Moore v. Dempsey, 261 U.S. 86 (1923) ⓘ |