The accused, Zekeim Ogilvie, faced nine firearm-related charges, including possession of a loaded prohibited firearm, following a traffic stop that escalated into a criminal investigation.
The court addressed preliminary issues of the accused's standing to challenge a Liquor Licence Act (LLA) search, the reasonableness of that search under section 8 of the Charter, and the admissibility of evidence under section 24(2) of the Charter.
The court found that the initial LLA search was lawful due to the police officer's reasonable grounds, and even if there was a Charter breach, the evidence would not be excluded.
The court also ruled on the admissibility of video evidence from the accused's phone, finding its probative value outweighed its prejudicial effect.
Ultimately, based on circumstantial evidence including the firearm's location, DNA evidence, and video recordings, the court found the accused guilty of constructive possession beyond a reasonable doubt.