4 total
Limited partners lack standing to oppose a creditor's appeal of a trustee's disallowance of a claim.
CBRE Limited appealed the Proposal Trustee's disallowance of its claim for a real estate commission against the debtors, YG Limited Partnership and YSL Residences Inc. The limited partners of the debtor opposed the appeal.
The court held that the limited partners lacked standing under the Bankruptcy and Insolvency Act to challenge the claim.
The court also determined that the appeal should proceed as a hearing de novo to prevent injustice, as new evidence supported the claim.
The court allowed the appeal, finding clear evidence of the commission agreement and its performance, and awarded costs to CBRE and the Proposal Trustee.
Substantial indemnity costs of $1.225 million awarded to successful defendants after dismissal of $240 billion data breach class action.
Following the dismissal of a proposed $240 billion class action regarding a data breach, the successful defendants sought costs.
The plaintiffs argued costs should be limited to a partial indemnity scale for a pleadings motion.
The court found that the plaintiffs' unsubstantiated allegations of professional misconduct against defence counsel, combined with their egregious violations of pleading rules and massive expansion of the claim, justified costs on a substantial indemnity basis.
The court awarded $725,000 to Capital One and $500,000 to Amazon Web.
Class action certification denied and claim struck for failing to plead viable causes of action regarding a massive data breach.
The plaintiffs brought a motion to certify a $240 billion class action against a financial institution and a cloud storage provider following a massive data breach perpetrated by a former employee of the storage provider.
The plaintiffs alleged numerous causes of action, including intrusion upon seclusion, misappropriation of personality, conversion, breach of confidence, and negligence, arguing that the defendants misappropriated and misused the class members' personal information by retaining and aggregating it beyond its initial purpose.
The court dismissed the certification motion, finding that the plaintiffs' Fresh as Amended Statement of Claim egregiously contravened the rules of pleading and failed to disclose any legally viable causes of action against the corporate defendants.
The pleading was struck in its entirety without leave to amend.
Plaintiffs' refusals and omnibus motions in a data breach class action dismissed for exceeding cross-examination scope.
The plaintiffs in a proposed class action regarding a data breach brought motions to compel answers to questions refused on cross-examinations of two affiants and an omnibus motion to strike out various affidavits, factum paragraphs, and a sealing motion.
The court dismissed the refusals motions, finding the questions asked were beyond the narrow scope of the underlying motions (an injunction motion and a sealing motion) and were properly refused.
The court also dismissed the omnibus motion, finding no reason to strike the evidence or alter the timetable for the upcoming jurisdiction and certification motions.