The appellant, who acted as an agent and landlord but was not the property owner, appealed a Landlord and Tenant Board decision finding him jointly liable for a bad faith eviction under s. 57 of the Residential Tenancies Act.
The appellant argued the LTB erred in law by failing to apportion liability between the multiple landlords based on their respective roles, as he lacked the legal authority to sell the property.
The Divisional Court dismissed the appeal, holding that the RTA is consumer protection legislation designed to balance rights between landlords and tenants, and does not require the LTB to adjudicate or apportion liability between multiple landlords.