The tenants appealed an order of the Landlord and Tenant Board requiring them to pay rent arrears.
The tenants had vacated the rental unit before the end of their fixed-term tenancy without providing the required 60 days' notice.
The LTB found that the earliest the tenancy could have been terminated was the end of the fixed term, but limited the arrears to the date the landlord successfully re-rented the unit.
The Divisional Court found no error of law in the LTB's calculation of arrears or application of the rent deposit, and dismissed the appeal.