The applicant participated in an unsuccessful mediation regarding a condominium records request and had 30 days to request adjudication (Stage 3).
The applicant missed the deadline by one day and requested an extension of time.
Applying the factors from Frey v. MacDonald, the Tribunal found that while the delay was short and prejudice to the respondent was minimal, the applicant provided no compelling reason for missing the deadline.
Furthermore, the underlying dispute lacked merit as the requested records had been provided, and the Tribunal lacked jurisdiction to order the creation of new records or determine their accuracy.
The request for an extension was refused and the case was closed.