In the case in the text,Lewis-Gale Medical Center,LLC v.Alldredge,the court held that the trial court erred because:
A) Lewis-Gale's actions did not demonstrate tortious interference with contract.
B) Lewis-Gale's actions fell so far outside the accepted practice of that "rough-and tumble" world as to constitute improper methods.
C) Tyson's statements,such as her use of the term "organizational terrorist" to describe Dr.Alldredge,were independently tortious and therefore rose to improper methods.
D) Lewis-Gale's actions were improper in that it used intimidation,duress,and undue influence based upon Lewis-Gale's ability to bring "financial ruin" on SWEP by canceling its contract to provide emergency room services to Lewis-Gale,which was SWEP's principal source of revenue.
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