Following a lengthy criminal trial involving four complainants, the court applied the W.(D.) framework and convicted the accused on multiple counts of sexual assault, choking to enable sexual assault, sexual assault causing bodily harm, and uttering threats, while acquitting on other counts where the Crown conceded insufficiency or the evidence left a reasonable doubt.
The decision turned largely on credibility and reliability assessments, including the accused’s internally inconsistent testimony, misunderstanding of legally valid consent, and the court’s acceptance of three complainants’ detailed accounts despite delayed reporting and histories of crack cocaine addiction.
The court held that drug addiction, without expert evidence, did not justify speculative assumptions undermining testimonial reliability.
The court also reviewed the law of consent, honest but mistaken belief in communicated consent, and similar fact evidence, concluding that similar fact evidence was unnecessary but would in any event have reinforced the guilty findings on the proven counts.