The Crown brought an application during a first-degree murder trial to admit several ante mortem statements made by the deceased under the principled exception to the hearsay rule.
The statements primarily concerned the accused's anger towards the deceased and the accused allegedly stealing the deceased's apartment keys.
The court applied the framework from Bradshaw and Khelawon to assess substantive reliability, using corroborative evidence where appropriate.
The court admitted the statements made to the deceased's sister, a close friend, the building superintendent, and the property manager, finding them reliable.
However, statements made to the deceased's boyfriend and another friend were excluded due to reliability concerns and unclear declarant identity.