Following a trial in which the plaintiff recovered damages for a slip and fall in a correctional facility but was found contributorily negligent, the court determined the appropriate costs disposition and prejudgment interest.
Applying the overriding principle of reasonableness under s. 131 of the Courts of Justice Act and Rule 57.01, the court held that the plaintiff reasonably proceeded under the ordinary procedure despite recovering less than $100,000.
The court rejected the defendant's request to reduce costs for abandoned claims, adjournments, and contributory negligence, finding those factors did not justify a distributive or percentage-based reduction.
Partial indemnity costs were fixed at $55,000 all-inclusive, and full prejudgment interest of $31,624.66 was awarded.