The defendants brought a motion for particulars seeking additional details regarding the plaintiffs' claims of breach of contract, unjust enrichment, fraudulent payments, oppression, and piercing the corporate veil.
The court dismissed the motion, finding that the plaintiffs' Amended Statement of Claim provided sufficient material facts to allow the defendants to plead.
The judge emphasized that many requested particulars were either already provided, within the defendants' own knowledge (e.g., corporate records), or could be obtained through the discovery process.
The court also expressed concern that the motion for particulars was being used as a delay tactic, contrary to the goals of civil procedure reform.