The Crown brought a pre-trial motion to admit four out-of-court statements made by a witness, Kulwant Litt, for the truth of their contents under the principled exception to the hearsay rule (a K.G.B. application).
The witness, who is the father of one accused and father-in-law of the other, had previously confessed to his son (acting as a police agent) and the police about the accused's involvement in a murder and the subsequent disposal of the body, but later recanted.
The court found that necessity was established by the recantation and that threshold reliability was met through a combination of procedural reliability (the witness was available for cross-examination and the statements were recorded) and substantive reliability (confirmatory physical evidence and lack of motive to lie at the time).
The statements were ruled admissible.