Law Society has the authority to compel a licensee to attend an oral investigatory interview.
The appellant lawyer appealed a decision of the Law Society Appeal Panel finding him guilty of professional misconduct for refusing to attend an interview with a Society investigator.
The appellant argued that the Law Society Act only authorized the Society to require the provision of information, not attendance at an oral interview.
The Divisional Court dismissed the appeal, holding that the standard of review was reasonableness and that the Society's broad duty to protect the public interest required effective investigation powers, including the authority to compel oral interviews.
William James Wise v. Law Society of Upper Canada, 2010 ONSC 1937