The plaintiff, a rideshare driver, commenced a proposed class action alleging that Lyft drivers are employees and entitled to protections under the Employment Standards Act, 2000.
The defendants moved to stay the action in favour of arbitration pursuant to the Arbitration Act, 1991, relying on the arbitration agreement in their Terms of Service.
The plaintiff argued the arbitration agreement was inaccessible, uncertain, unconscionable, contrary to public policy, and an unlawful contracting out of employment standards.
The court rejected the plaintiff's arguments, finding the arbitration agreement accessible, valid, and enforceable.
The court granted the motion and stayed the proposed class action in favour of arbitration.