26 total
Appeal from Rule 21 dismissal of unmeritorious statement of claim dismissed.
The appellant appealed an order dismissing his action under Rule 21 for disclosing no reasonable cause of action.
The Court of Appeal agreed with the motion judge's analysis that the claim was utterly unmeritorious and found no error.
The appeal was dismissed with costs awarded to each appearing respondent.
Unnecessary motion over release wording attracts reduced costs against uncooperative responding party.
Following settlement of the substantive estate dispute, the parties disagreed over the language of a release, resulting in a motion to resolve the wording and determine costs.
The court found the dispute over wording insignificant and concluded the motion was unnecessary and could have been avoided through cooperation between counsel.
The revised release ultimately satisfied both parties.
Applying Rule 57.01 of the Rules of Civil Procedure and the principles governing costs, the court held the responding party's lack of responsiveness warranted cost consequences.
Partial indemnity costs were awarded to the moving parties but reduced to reflect the straightforward nature of the motion.
Successful motion party awarded $45,000 in costs.
Following a motion hearing concerning a significant advance payment request in complex estate-related litigation, the court determined the appropriate costs award.
Applying the factors in Rule 57 of the Rules of Civil Procedure, the court considered the importance and novelty of the issues and the reasonable expectations of experienced litigants.
The plaintiff was successful and entitled to substantial costs for the motion.
The court also addressed the entitlement of the estate trustee during litigation to costs payable from the estate under a prior order.
Court grants advance equalization payment from estate to surviving spouse.
A surviving spouse sought an advance equalization payment of $4.5 million from the estate of her deceased husband under the Family Law Act or, alternatively, partial summary judgment.
The motion was opposed by several defendants asserting potential claims against the estate and challenging their standing and the appropriateness of the advance.
The court held that the equalization entitlement between spouses is personal under the Family Law Act and that the defendants were neither proven creditors nor beneficiaries.
Applying the three-part test for advance equalization payments from Laamanen v. Laamanen, the court found a reasonable need for litigation funding, little doubt of entitlement to at least the requested amount, and that granting the advance was just in the circumstances.
Court reduced requested substantial indemnity costs to $55,000 for one‑day motion.
Following earlier rulings on a derivative leave motion in estate litigation, the court addressed outstanding procedural directions and the issue of costs for five related motions.
The plaintiffs sought substantial indemnity costs exceeding $144,000 for work connected primarily to the derivative issues.
Applying Rule 57 of the Rules of Civil Procedure and the proportionality principles discussed in Boucher v. Public Accountants, the court held that the requested amount far exceeded the reasonable expectations of the unsuccessful parties for a one‑day motion.
Substantial indemnity costs were denied.
The court fixed costs payable by the defendants jointly and severally at $55,000 inclusive of taxes and interest.
Appeal of Small Claims Court dismissal for solicitor negligence denied; delay caused by client's actions.
The appellant appealed the dismissal of his Small Claims Court action against his real estate lawyer for professional negligence and breach of contract arising from a four-day delay in closing a home purchase.
The Divisional Court dismissed the appeal, finding no palpable and overriding error in the trial judge's conclusion that the delay was caused by the appellant's failure to obtain fire insurance, which prevented the tendering of mortgage funds.
The court also rejected the appellant's claim of a denial of due process, finding the trial judge's interventions during the hearing were appropriate and did not demonstrate bias.