The applicant sought to introduce fresh evidence on an application for judicial review of a decision by the Director's Delegate, which had upheld an Arbitrator's decision.
The Director's Delegate had previously refused to admit the applicant's affidavit because it failed the Palmer test, as the evidence was available during the arbitration.
The Divisional Court agreed, refusing to admit the affidavit for the purposes of the application.
The court allowed certain other documents to be referenced on consent of the parties, but excluded the accompanying affidavit.