During a criminal trial for robbery, extortion, and firearms offences, the Crown sought to introduce a firearm seized during a search warrant executed nine months after the alleged robbery.
The Crown argued the firearm constituted circumstantial evidence permitting the jury to infer it was the same weapon used in the offence.
The defence opposed admission, arguing the firearm’s generic description and the passage of time rendered the evidence minimally probative and highly prejudicial.
The court held that although the firearm had some probative value, it was significantly weakened by the time gap and the generic description provided by witnesses.
The prejudicial risk—particularly the likelihood of propensity reasoning by the jury—outweighed its probative value, and the evidence was excluded.