The defendant was charged with refusing to comply with a demand to provide breath samples suitable for analysis under s. 254(3) of the Criminal Code.
The Crown alleged that the defendant failed to provide suitable samples during ten attempts at an OPP detachment on April 1, 2012.
The defence challenged both the actus reus and mens rea of the offence, arguing that the breath technician's rejection of the samples was unreasonable and that instrument malfunction could not be ruled out.
The court found that the breath technician properly exercised his discretion in rejecting the samples as unsuitable, that the defendant manifested no signs of distress, and that the Crown adequately proved the instrument was functioning properly.
The defendant was found guilty.