The applicant brought a motion to strike portions of the record considered by the DIOC and to determine whether materials provided to but not reviewed by the DIOC form part of the record on judicial review.
The court dismissed the motion to strike, holding that the admissibility of evidence before the DIOC is a matter for the panel hearing the judicial review.
The court directed that unreviewed materials be provided to the panel in a sealed envelope.
The court also granted consent redactions sought by the DIOC and granted interim redactions sought by the applicant to protect her privacy interests pending the panel's decision, applying the Sherman Estate test.