This appeal concerned convictions for sexual offences where the appellant, S.M., challenged his convictions on the basis that in-chambers discussions between the trial judge and counsel, without his presence, violated his right to be present at his trial under s. 650 of the Criminal Code.
The trial judge had expressed concerns about the Crown's case on one count and encouraged a guilty plea, which the appellant subsequently entered for four of five charges.
The in-chambers meetings were not recorded or disclosed to the appellant until years later.
The Crown conceded the breach of s. 650.
The Court of Appeal found that the exclusion of the appellant from these substantive discussions, especially given his self-represented status and the lack of disclosure, constituted a serious procedural irregularity.
Applying the Simon framework, the court determined that the breach could not be saved by the curative proviso in s. 686(1)(b)(iv) of the Criminal Code, as it prejudiced the appearance of the due administration of justice.
The appeal was allowed, convictions set aside, and a new trial ordered on the sexual assault counts.