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Cited as an instance where leave to appeal was granted despite the decision not directly translating into individual relief.
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 constitutional invalidity does not automatically undo subsequent acts; further application required.
Considered as one of various High Court interpretations of Jaftha with inconsistent outcomes.
Applied for the principle that section 34 guarantees judicial process in attachment and sale of property and that any constraint upon a person or property must…
Cited for the principle that direct access is granted only in exceptional circumstances.
Cited for the principle that direct access is granted only in exceptional circumstances.
Cited for the doctrine of objective unconstitutionality and the principle that direct access may be granted in exceptional circumstances.
Cited for an opposite holding on granting leave to appeal where decision did not translate into individual relief.
Cited for the principle that direct access is granted only in exceptional circumstances.
Applied to clarify that individual persons affected by declaration of invalidity still need to approach courts to have sales and transfers set aside if granted…
Cited as an instance in the SCA where leave to appeal was granted despite the decision not translating into individual relief.
Cited for the doctrine of objective unconstitutionality.
The Constitutional Court granted direct access and leave to appeal, declared it unconstitutional for a registrar to declare immovable property specially…
Cited for the principle that retrospective invalidity does not automatically set aside transfers without individual applications for setting aside.
Cited for the principle that constitutional invalidity does not automatically undo everything that followed; further steps required.
Central case applied for the principle that execution against a person's home requires judicial oversight to satisfy section 26 constitutional protection.
Cited for reference to practice direction adopted in Saunderson by the Western Cape High Court.
Cited for the requirements for admission of evidence by amicus curiae under Rule 31(1) of Constitutional Court Rules.
Cited for the requirements for admission of evidence by amicus curiae.
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 requirements for admission of evidence by amicus curiae.
Court distinguishes Campus Law Clinic's refusal of direct access, finding that the present matter adequately meets the concerns expressed for admitting direct…
Cited in support of the requirements for admission of affidavit evidence by amicus curiae under Rule 31(1) of Constitutional Court Rules.
Cited as an instance where leave to appeal was granted despite the decision not directly translating into individual relief.
Cited for the doctrine of objective unconstitutionality.
Cited for the principle that direct access is granted only in exceptional circumstances.
Cited for the principle that direct access is granted only in exceptional circumstances.
Considered as one of various High Court interpretations of Jaftha with inconsistent outcomes.
Cited as part of general jurisprudence on section 26 of the Constitution.
Cited in support of the requirement that evictions require a court order after considering all relevant circumstances under section 26(3).
Applied for the principle that execution may not be avoided when there are no other proportionate means to satisfy the judgment debt, and that…
Cited for the principle that execution against a debtor's primary residence must be considered in light of the constitutional right to housing and to provide…
Applied for the principle that security of tenure is enshrined in section 26(1) of the Constitution.
The court applied Gundwana's holding that Jaftha applies not only in exceptional cases but also in typical mortgage foreclosure cases before the high court,…
Cited for the material and relevant points a court must consider when granting execution against immovable property under rule 46(1).
Applied for the principle that judicial oversight of the execution process is mandatory, particularly when a debtor's security of tenure is at risk.