A voir dire was held to determine the admissibility of two statements given by the defendant to police following a motor vehicle collision that resulted in a pedestrian fatality.
The defendant was charged with speeding contrary to the Highway Traffic Act.
The defendant conceded the roadside statement was voluntary under the traditional test but argued his Charter s.7 rights were breached because the statement was compelled by statute.
The court held that liberty interests under s.7 are not engaged for an absolute liability speeding offence, as the only penalty is a fixed fine with no risk of incarceration.
The roadside statement was therefore admissible.
The prosecution withdrew its request to adduce the video statement, rendering its admissibility moot.