The appellant appealed a Landlord and Tenant Board decision ordering his eviction from a housing co-operative.
He argued procedural unfairness regarding the scheduling of an expedited remote hearing, the use of security video evidence, and findings on conduct not in the eviction notices, as well as a failure to accommodate his disability under the Human Rights Code.
The Divisional Court dismissed the appeal, finding no procedural unfairness in the remote hearing process or the admission of evidence, and concluding that the adjudicator had appropriately considered and accommodated his disability by delaying the eviction.