The applicants sought judicial review of a Director's Delegate decision finding that post-accident business income from a family pharmacy should be deducted from the applicant's income replacement benefits (IRBs) under s. 7(3)(b) of the Statutory Accidents Benefits Schedule (SABS).
The applicant argued that 'earned' income required active engagement in the business.
The Divisional Court upheld the Director's Delegate's decision as reasonable, agreeing that a contextual interpretation of the SABS focuses on the profit and loss of the business rather than requiring active participation by the self-employed person.