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Cited for the Constitutional Court's statement on the doctrine of precedent, that courts of final jurisdiction can depart from their own decisions only when…
Applied for the proposition that a court is not precluded from raising the issue of undue delay mero motu if it is satisfied that the delay is inordinate and…
Applied to set out the test for extending the statutory time period: a full and reasonable explanation for the entire delay is required and relevant factors…
Cited for factors relevant to determining whether to condone delay.
Court cites Camps Bay for the proposition that the doctrine of precedent is not simply a matter of respect for courts of higher authority but is a…
Cited for the principle that interpretation of legislation constitutes a constitutional issue.
Cited for the proposition that observance of binding precedent is a core component of the rule of law, a founding value of the Constitution.
Cited for the principle of stare decisis as a core component of the rule of law.
Court applies the approach to condonation of delay under PAJA: party seeking extension must furnish full and reasonable explanation for delay and interests of…
Court applies the test for when the 180-day PAJA period starts to run: when the person becomes aware of the administrative action and the reasons for it.
Cited in Majiedt JA's concurring judgment to emphasize the need to observe the doctrine of precedent and stare decisis as a manifestation of the rule of law.
Cited for the principle that a party applying for condonation must give a full and honest explanation for the whole period of delay.
This judgment is deciding an appeal from the Supreme Court of Appeal; the appeal was dismissed.
This is a review of the taxation of counsel's fees arising from this matter, in which the applicants were dismissed with costs including costs of two counsel.
Followed for the insistence on observance of the doctrine of stare decisis and the principle that courts of final jurisdiction are bound by their own decisions…
Cited for the principle of stare decisis and observance of judicial precedent by this Court.
Cited for the principle that the binding authority of precedent is limited to the ratio decidendi and does not extend to obiter dicta.
Cited for the principle that this Court is bound by previous decisions unless clearly wrong.
Cited for the requirement that a party seeking an extension of the 180-day period under PAJA must furnish a full and reasonable explanation for the delay…
Applied for the principle that the PAJA must promote an efficient administration and for the application of time limits for instituting review proceedings…
Constitutional Court authority affirming the doctrine of precedent as manifestation of the rule of law; courts can depart from previous decision only when…
Applied for the principle that an administrative decision is not automatically invalid until challenged and set aside by a court.
Cited for the principle that administrative decisions remain valid and legally binding unless set aside by a competent court, following the approach in…
Cited for the doctrine of precedent that binds courts of final jurisdiction to their own decisions unless a previous decision is clearly wrong.
Cited for the principle that obiter dicta have no binding authority.
Applied for the importance of the doctrine of precedent and the warning against legal chaos that arises from deviation from binding precedent.
Cited as example of interpretation and application of legislation enacted to give effect to constitutional right raising constitutional issue
Cited in the context of the importance of finality and considerations around extensions of the 180-day time bar under section 9 of PAJA.
Cited for the warning that stare decisis is a manifestation of the rule of law itself, and to deviate from this rule is to invite legal chaos.
The court applies the test for interim interdict, which requires establishment of four requirements: a prima facie right, well grounded apprehension of…
Camps Bay was cited alongside Turnbull-Jackson in the context of stare decisis and the binding authority of judgments.
The court cited Camps Bay Ratepayers for the principle that the doctrine of precedent is a manifestation of the rule of law and a founding constitutional…
Court cites this case as supporting the Oudekraal principle that administrative decisions are accepted as valid until challenged and set aside.
Cited to explain that adherence to precedent is intrinsically functional to the rule of law and foundational to the Constitution, as it ensures certainty,…
Cited for the principle of stare decisis, that courts may only depart from binding precedent where that precedent is clearly wrong.
Cited for the proposition that in determining whether the interests of justice require extension of the PAJA time period, regard should be had to all the facts…
Cited in relation to public concern about legal costs and fees.
This Court cited Camps Bay at para 51 as an example where matters of fact are inextricably linked to legislation giving effect to fundamental rights.
Cited for the proposition that stare decisis is a manifestation of the rule of law, which is a founding value of the Constitution.
Applied to establish the legitimate expectations test for determining whether a proposed development will derogate from the value of neighbouring properties…
Followed extensively for clarification of the meaning of derogation from market value under section 7(1)(b)(ii) and for principles on doctrine of precedent and…