In a manslaughter sentencing appeal, the Court addressed when a trial judge may reject a joint submission following a guilty plea.
It held that departure is permitted only where the proposed sentence would bring the administration of justice into disrepute or otherwise be contrary to the public interest, rejecting a simple fitness approach.
Applying that standard, the Court found the trial judge erred in principle by substituting a modestly longer custodial term and adding probation despite the negotiated resolution and systemic interests in certainty.
The appeal was allowed and the sentence was varied to match the joint submission of additional custody without probation.