A youth charged with impaired care and control, over 80, possession of cannabis resin, and a Highway Traffic Act offence brought a motion for a stay of proceedings based on an alleged breach of section 11(b) of the Charter (right to trial within a reasonable time).
The court examined the timeline from arrest in February 2012 to trial in April 2013, assessing delays attributable to the Crown, defence, and institutional factors.
The court rejected the Crown's argument that institutional guidelines for youth should mirror those for adults, holding that the shorter guidelines under the Youth Criminal Justice Act apply consistently.
The court found that while the delay exceeded the administrative guidelines of five to six months for youth, the modest specific prejudice adduced by the defendant, combined with the community's strong interest in adjudicating the matter on its merits, did not warrant a stay of proceedings.