The defendant was charged with possession of cocaine and crack for the purpose of trafficking, and trafficking.
The case involved a Charter application to exclude evidence (drugs and shipment receipt) due to a s. 8 Charter violation by police for failing to file a timely Report to Justice.
The court found a s. 8 violation but declined to exclude the evidence under s. 24(2) of the Charter, balancing the Grant factors, noting the police conduct was negligent but not serious, and the impact on the defendant was minimal.
On the merits, the court found the defendant guilty of trafficking, concluding that he was the person who dropped off the package and knew its contents, or was wilfully blind, based on circumstantial evidence including fingerprints and suspicious shipping practices.