The applicant sought to set aside a 1984 separation agreement, challenge a spousal support waiver, obtain retroactive spousal support, and recover damages for alleged physical and sexual abuse occurring before and during the marriage.
The court held that the governing support-set-aside provision was s. 18(4) of the Family Law Reform Act, and found the waiver was not unconscionable given the asset division, the parties’ circumstances at the time, and the applicant’s understanding of the agreement.
In the alternative, the court found the agreement would not be set aside under s. 56(4) of the Family Law Act because there was no failure to disclose significant assets, the applicant understood the agreement, and no contractual basis for rescission was established.
The tort claims were also dismissed because the court rejected the applicant’s credibility, preferred the respondent’s evidence, and found the alleged assaults were not proven on a balance of probabilities.