The Crown sought admission of cross-count similar fact evidence in a multi-count indictment involving allegations of sexual assault, forcible confinement, theft, and criminal harassment involving several complainants.
Identity was admitted by the accused, leaving actus reus, modus operandi, and complainant credibility as live issues.
Applying the governing test from R. v. Handy, the court assessed whether the probative value of the proposed evidence outweighed its prejudicial effect.
The court found striking contextual similarities across several complainants, including circumstances involving intoxicated victims, use of a vehicle, loss of personal property, and subsequent communications from the accused.
Most of the requested similar fact evidence was admitted, subject to limited exceptions where the nexus between incidents was insufficient.