This personal injury action involved a motion by the plaintiffs to appoint a litigation guardian for Elisabeth Reddecopp, who was injured in a motor vehicle accident and found to lack capacity to instruct counsel.
The defendants brought a cross-motion seeking a further capacity assessment, cross-examination of the initial assessor, and other relief.
The court granted the plaintiffs' motion, appointing Elisabeth's father, Heinrich, as litigation guardian, finding him presumptively appropriate and without an adverse interest that would preclude his appointment.
The court dismissed the defendants' cross-motion, ruling it lacked jurisdiction under the Courts of Justice Act and the Substitute Decisions Act, 1992 to order a further capacity assessment, and that there was no basis to compel cross-examination of the initial assessor or order a second assessment given its comprehensiveness and lack of bias.