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Cited for the principle that allegations of unconstitutionality should not be raised piecemeal or inadequately pleaded, especially in commercial matters.
Cited for the principle concerning the fiduciary relationship (or lack thereof) between a bank and its client.
The court follows the principle laid down by Olivier JA that prejudice can only release a surety if it is the result of a breach of some legal duty or…
The court distinguishes this Constitutional Court decision which declared unconstitutional statutory provisions allowing seizure without court order from the…
Court distinguished Bock on the basis that it was decided before the NCA and considered only the common-law position on parate executie, whereas the current…
Cited for the proposition that an agreement permitting parate executie without recourse to the court or the debtor in the case of immovable property is void.
The court follows the principle established regarding prejudice to a surety and the requirement of a breach of legal duty or obligation.
Cited to note that the Supreme Court of Appeal held that Chief Lesapo does not apply to general notarial bonds hypothecating movables.
Cited for the principle that execution of a pledge of movables held by the creditor requires the court's imprimatur to perfect the security.
The court cites this decision for the principle that a private execution clause in a pledge should not prejudice rights of the debtor unduly and for…
The court distinguishes this Constitutional Court decision concerning statutory provisions permitting seizure and sale of property from the common law…
Cited for the principle that the creditor is not the judge in its own cause where the debtor can seek court protection.
Cited for the proposition that a surety bears the onus of proving the prejudice upon which they seek to base their case to be released from their contractual…
Applied to determine that the rights and obligations of the parties are determined by the terms of the deed of suretyship.
Cited for the principle that a surety bears the onus of proving defences.
Cited for the distinction regarding mandates to sell properties and the treatment of movables held in pledge.
The court cited Bock for the principle that there can be no question of a surety's rights or interests being prejudiced by dealings with the principal debtor…
The decision justified Hurt J's refusal to follow Findevco; also cited for the principle that a creditor not in possession needs judicial sanction to perfect a…
Followed for the finding that parate executie of movables lawfully in the creditor's possession is not unconstitutional and that Findevco was wrongly decided.