The parties entered into a joint venture for a golf course and residential development.
They reached a prior oral agreement regarding the dimensions of the land subject to a development option.
The appellant fraudulently drafted the written contract to reflect a much smaller parcel of land, and the respondent signed it without reading the specific clause.
When the respondent discovered the error, he sought rectification of the contract.
The Supreme Court of Canada upheld the trial judge's decision to grant rectification, finding that the respondent's lack of due diligence in reading the contract was not a bar to equitable relief, particularly given the appellant's fraud.
However, the Court declined to restore the trial judge's award of punitive damages, concluding that the substantial compensatory damages awarded were sufficient to achieve the goals of retribution, deterrence, and denunciation.