The applicant brought a motion for interim spousal support.
The parties were unmarried and the respondent disputed that they were spouses, alleging a non-exclusive relationship.
The court applied the Moldowich criteria and found the applicant established a prima facie case of cohabitation since 2007.
The court also found a prima facie case for non-compensatory entitlement based on the applicant's needs and disability.
Interim spousal support was ordered at the mid-range of the Spousal Support Advisory Guidelines, retroactive to the start of the year.