23 total
Prior inconsistent statement lacked threshold reliability for truth admissibility at trial.
The appellant challenged an order for a new trial after exclusion of a co-accused’s prior inconsistent Agreed Statement of Facts tendered for its truth in a murder prosecution.
The majority held threshold reliability was not established because available safeguards did not adequately permit testing of truth and accuracy, particularly given curtailed cross-examination following assertions of solicitor-client privilege.
The Court emphasized deference to trial-level reliability determinations absent error in principle and rejected a request for a new trial based on how the prosecution conducted the voir dire.
It concluded the statement’s surrounding circumstances did not provide sufficient substantive reliability where the declarant had incentives to shift blame during plea negotiations.
The appeal was allowed and the acquittal restored, with dissenting reasons favouring a new trial.
Conviction set aside and new trial ordered due to trial judge's three-year delay in delivering reasons.
The appellant appealed his conviction on the basis that the trial judge failed to provide reasons for her decision.
The trial judge had given her decision with reasons to follow, but no reasons were delivered more than three years later.
The Court of Appeal held that the brief reasons provided did not meet the Sheppard test and did not permit appellate review.
The appeal was allowed, the conviction set aside, and a new trial ordered.
Crown sentence appeal dismissed as moot due to disposition in related appeal.
The Crown appealed the sentence imposed on the respondent.
The Court of Appeal dismissed the appeal as moot in light of its disposition in a related appeal.