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The Constitutional Court granted leave to appeal and upheld the appeal, setting aside the Supreme Court of Appeal's order. The Court held that PRASA's conduct…
The Supreme Court of Appeal overturned the High Court's decision, disposing of both grounds of negligence on the basis that neither was causative of Mr.…
Distinguished on the basis that PRASA's mandate related directly to the safe transportation of passengers and safeguarding their physical well-being, whereas…
Court cites this case as an instance where this Court determined factual disputes in order to dispose of the case.
Cited for the principle that legal causation involves a flexible test and that public policy considerations are grounded in the Constitution and its values.
Applied for the principle that the Constitutional Court recently reaffirmed the continued relevance of the but-for test approach to causation and clarified the…
Applied for the test that a court of appeal will not lightly interfere with factual findings of a trial court unless there is a demonstrable and material…
cited for principles on appellate review of factual findings
Cited for the principle that causation in the law of delict gives rise to two distinct problems: factual and juridical causation.
Applied for the principle that an appeal court should caution itself against overturning factual findings of a trial court unless convinced they are clearly…
Applied and followed for the principle that a public law obligation does not automatically give rise to a delictual claim but principles apply to conduct in…
Cited for further explication of the factual causation test following Lee.
This Court applied Mashongwa to support jurisdiction where the delictual claim against the state is underpinned by constitutional rights such as sections 7(2)…
The court applied the factors to be considered when deciding whether a failure of administrative justice amounted to a delict.
Court applies the principle that PRASA's failure to keep carriage doors closed while the train is in motion constitutes negligence and attracts liability.
Applied for the principle that appellate courts may interfere with factual findings only where there is demonstrable misdirection or findings are clearly wrong.
Cited for the principle that it is undesirable for the Constitutional Court to second-guess well-reasoned factual findings of the trial court.
Court set out the legal test for negligence as whether a reasonable person in the appellant's position would have foreseen harm and taken reasonable steps to…
Cited in elucidation of the 'but for' test for factual causation.
The Court distinguishes this case where wrongfulness was a live constitutional issue engaging jurisdiction, from the present matter where wrongfulness was…
Court applies the reaffirmed standard approach to causation, requiring a causal link between negligent conduct and injury and a sufficiently close connection…