The appellant, N.T., appealed convictions for sexual interference and assault related to his step-daughter.
He argued the trial judge's reasons were insufficient, failing to explain the resolution of inconsistent evidence, rejection of his testimony, application of *W.(D.)*, or addressing the s. 43 Criminal Code defence.
He also claimed the sentencing reasons indicated an intent to convict for sexual assault rather than sexual interference.
The Court of Appeal dismissed the appeal, finding the trial judge's reasons sufficient, with a clear path to conviction based on accepted Crown evidence.
The court clarified that the trial judge's reference to "sexual assault" in sentencing was shorthand for sexual interference and that the acquittal on sexual assault was a patent error in law, not rendering verdicts inconsistent.