The case concerns whether an assessor appointed under the Substitute Decisions Act, 1992 must provide disclosure of materials collected and reviewed prior to a capacity assessment, and whether the assessor and the Consent and Capacity Board considered the correct factors relevant to the management of property.
The court held that there is no legal obligation for the assessor to provide such disclosure in advance, and that the Board did not err in its application of the legal test for capacity.
The appeal was dismissed.