The plaintiffs sued the defendants for defamation over negative online reviews regarding window installation.
Faced with an anti-SLAPP motion, the plaintiffs attempted to discontinue the action.
The court held that the statutory stay under s. 137.1(5) of the Courts of Justice Act was triggered when the defendants delivered a requisition to attend Civil Practice Court, rendering the discontinuance ineffective.
Applying the Pointes framework, the court found the reviews related to a matter of public interest, the plaintiffs failed to show there were no valid defences, and the action was a SLAPP suit brought for an improper purpose.
The action was dismissed, and the plaintiffs were ordered to pay $164,186.76 in full indemnity costs and $2,500 in damages.