125 total
A stay of proceedings was granted due to an unreasonable 39-month delay violating section 11(b).
The accused faced five charges under the Criminal Code and two charges under the Youth Criminal Justice Act for historical allegations of assault, unlawful confinement, and sexual assault with a weapon spanning from 1995 to 1999.
The charges were laid in January 2011 but the trial was not scheduled to commence until April 2014, resulting in a delay of approximately 39 months.
The accused brought a motion for a stay of proceedings based on a violation of his Charter right under section 11(b) to be tried within a reasonable time.
The court found that 21.75 months of the delay was attributable to Crown, institutional, and other causes and was unreasonable, exceeding the guideline of 14 to 18 months for a two-stage process.
The court inferred prejudice from the length of delay and found that the accused had demonstrated a desire to resolve the matter expeditiously.
The court granted the stay of proceedings.
Accused acquitted of making available child pornography due to lack of intent and technical knowledge.
The accused was charged with possession and making available child pornography after police found illicit images on his computer, which was running the LimeWire peer-to-peer file sharing program.
The accused pled guilty to possession but contested the making available charges, arguing he lacked the requisite mens rea.
The court found that the accused had limited technical knowledge, did not know deleted images were saved, and took active steps to prevent file sharing once he learned of the risk.
The court rejected the Crown's argument of wilful blindness and acquitted the accused of making available child pornography.
Breath test results were excluded and impaired driving charges dismissed due to a Charter breach.
The accused was charged with impaired operation of a motor vehicle and operating a motor vehicle with a blood alcohol concentration exceeding eighty milligrams contrary to section 253(1)(a) and (b) of the Criminal Code.
The court found that the arresting officer lacked reasonable and probable grounds to make a breath demand and should have first administered a roadside screening device.
The officer's observations—including no evidence of bad driving, unclear odour of alcohol, minimal gait irregularities, and normal speech—amounted only to reasonable suspicion.
The court found a breach of the accused's section 8 Charter rights and excluded the breath test results under section 24(2) of the Charter.
Both charges were dismissed.
Stay application dismissed despite lengthy bail hearing delay.
The accused brought a Charter application seeking a stay of proceedings based on delay in completing his bail hearing, alleging violations of ss. 7, 9, and 11(e) of the Canadian Charter of Rights and Freedoms.
The accused argued that the justice of the peace and Crown prosecutor caused an unlawful adjournment exceeding the three‑day limit under s. 516 of the Criminal Code and demonstrated disregard for the accused’s liberty interests.
The court held that defence counsel consented to the adjournment and therefore no illegal adjournment occurred.
The court further found that neither the Crown prosecutor nor the justice of the peace acted improperly or breached the accused’s Charter rights.
Although the 32‑day duration of the bail hearing was unacceptable, it did not justify the extraordinary remedy of a stay of proceedings.
The court sentenced an Aboriginal offender to 48 months for two robberies, granting 1.5:1 pre-sentence custody credit due to harsh conditions and lost remission.
The accused pleaded guilty to two counts of robbery and two counts of attempting to commit an indictable offence while having his face masked.
The robberies occurred on January 1 and January 3, 2012, at a variety store and a Bank of Montreal branch respectively.
The accused had an extensive criminal history including six prior robbery convictions.
The court imposed a sentence of 48 months imprisonment, with enhanced credit for 184 days of pre-sentence custody at a 1.5:1 ratio (276 days credited), resulting in an effective sentence of 4 years and 9 months.
The court applied Gladue principles in sentencing an Aboriginal offender while balancing denunciation and deterrence as paramount sentencing objectives.