The appellants appealed a trial judgment dismissing their action for negligent misrepresentation, which was found to be statute-barred under the Limitations Act, 2002.
The trial judge also found the action could not succeed on the merits.
The Court of Appeal upheld the trial judge's decision, finding that the appellants, as professional engineers, knew or ought to have known of their claim much earlier than when they filed their statement of claim, despite the respondents' ameliorative efforts and superior expertise.
The court emphasized that an expert report was not necessary for discoverability in these circumstances.
The appeal was dismissed.