The applicant condominium corporation brought a motion to remove the agent representing the respondent owner and the intervenor tenants, arguing the agent did not qualify for the 'friend' exemption under the Tribunal's Rules of Practice and Law Society By-law 4.
The Tribunal found that the agent qualified as a friend to the intervenors and could continue to represent them.
However, the Tribunal found no evidence of a relationship between the agent and the respondent owner beyond this case, and disqualified the agent from representing the respondent.