The appellant law society brought disciplinary proceedings against a member lawyer in 2012, resulting in a finding of guilt on four charges and disbarment in 2019.
The respondent applied for a stay of proceedings on the basis of inordinate delay amounting to an abuse of process; the Hearing Committee dismissed the application but the Court of Appeal granted the stay, setting aside the penalty.
The Supreme Court clarified the three-step test from Blencoe for determining whether administrative delay constitutes an abuse of process: the delay must be inordinate, it must have directly caused significant prejudice, and a final assessment must find the delay manifestly unfair or otherwise bringing the administration of justice into disrepute.
The Court also held that in statutory appeals, questions of procedural fairness and abuse of process are subject to appellate standards of review, not the correctness standard applicable on judicial review.
Applying these principles, the majority found no palpable and overriding error in the Hearing Committee's conclusions that the delay was not inordinate and that no significant prejudice was established, and accordingly allowed the appeal.