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Court applies the principle that a debt is due when the entire set of facts which the creditor must prove to succeed with the claim is in place, and considers…
Cited for the principle that prescription raises a constitutional issue by implicating section 34 right of access to courts.
The court applies the reasoning in Matinise which established that a review is necessary as a precondition to the enforcement of arrear disability grants that…
Quoted for the Constitutional Court’s definition of a ‘debt due’ as a debt that is owing and payable when the entire set of facts needed to prove the claim is…
Cited for the principle that the defendant must allege and prove that the plaintiff had knowledge of the facts necessary for prescription to commence.
Cited for the definition of facts from which a debt arises being facts the creditor would need to prove to establish the debtor's liability.
The court distinguishes this case where the question of whether the plaintiff ought reasonably to have had knowledge of the primary facts of factual cause was…
The Court followed the test in Links that in cases of professional negligence, the plaintiff must have sufficient facts to reasonably suspect fault by medical…
Cited to support that prescription implicates the constitutional right of access to courts.
Applied to establish that defendants had to prove that Nuance knew the relevant facts before prescription commenced running.
Court applies principle that creditor must be in possession of sufficient facts to cause them on reasonable grounds to believe they have a claim.
Applied for the test that in professional negligence cases, the party relying on prescription must show the plaintiff had knowledge of sufficient facts to…
Cited for the onus of proving prescription.