The Office of the Independent Police Review Director (OIPRD) appealed a Divisional Court decision that quashed its second finding (unsubstantiated) regarding a police misconduct complaint by the Stanleys and ordered a third investigation.
The Court of Appeal upheld the quashing of the OIPRD's second decision, but on the ground that the OIPRD was functus officio and lacked statutory or common law authority to reconsider its initial substantiated finding.
The Court set aside the Divisional Court's order for a third investigation, restoring the OIPRD's original decision to refer the matter for a disciplinary hearing, while noting that the OIPRD could now apply its newly amended rules for reconsideration.