The appellants appealed their convictions, arguing the trial judge erred in his treatment of alibi evidence and by admitting hearsay evidence.
The Court of Appeal found that the trial judge reversed the burden of proof by stating he was 'not satisfied' the alibi witnesses were reliable, without considering if their evidence raised a reasonable doubt.
Additionally, the trial judge erred in admitting hearsay evidence regarding cell phone records through a police officer without meeting the principled exception to the hearsay rule.
The Court of Appeal allowed the appeals, set aside the convictions, and ordered a new trial for both appellants, declining to apply the curative proviso.