The applicant social housing provider sought access to youth criminal records relating to a young person whose charges had been stayed.
The applicant intended to use the records to commence eviction proceedings against the young person's family based on an alleged illegal act.
The court dismissed the application, finding that while the applicant had a valid interest in the records, granting access was not desirable in the interest of the proper administration of justice.
The court emphasized the young person's heightened privacy rights, the presumption of diminished moral blameworthiness, and the potential harm to the young person's rehabilitation and family support if eviction proceedings were facilitated.