In an administrative law appeal, the appellant municipality challenged a referral decision by a provincial human rights commission to appoint a board of inquiry regarding alleged discriminatory school-funding arrangements affecting a minority-language school community.
The Court held that referral decisions at this preliminary screening stage are reviewable on reasonableness, with strong judicial restraint against premature intervention in ongoing administrative processes.
The Court clarified that older jurisdictional framing tied to preliminary questions should no longer govern this context.
Applying the proper standard, the commission had a reasonable basis in law and on the evidence to refer the novel and complex complaints for inquiry.