2 total
The court issued procedural directions at a case conference regarding outstanding child support and corporate financial disclosure.
This endorsement from a case conference addressed outstanding issues of child support and disclosure.
The court provided directions for the respondent to address corporate financial disclosure, including potentially engaging an accountant, and for personal disclosure to be exchanged.
The parties were encouraged to reach consent on disclosure timelines and support proposals, with the court prepared to issue a procedural order if no agreement was reached.
Claim against former Chief of Police struck for disclosing no reasonable cause of action and being statute-barred.
The moving party defendants brought a motion under Rule 21.01 to strike the plaintiffs' claim against the former Chief of Police.
The plaintiffs' action arose from a police investigation into a noise complaint, alleging false and malicious statements in police records.
The court granted the motion, finding that the claim sought no substantive relief against the former Chief, was commenced after the expiry of the limitation period, and failed to disclose a reasonable cause of action as the Police Services Act does not impose vicarious liability on chiefs of police for the tortious conduct of force members.
The claim was struck without leave to amend.