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Applied to determine that no costs order should be made against the unsuccessful applicant since the matter raises constitutional issues and both respondents…
Applied for the factors to consider when exercising discretion to entertain a moot matter.
Applied for the principle that amendments raising new relief should not readily be entertained by this Court as a court of first instance.
Applied for the principle that leave to appeal requires reasonable prospects of success or other compelling reasons.
Cited for the proposition that application of PAJA depends on the nature of the impugned decision, not the characterization by the applicant.
Cited for the proposition that nullification of an administrative decision long after it was taken may be ameliorated by the benefits of a wide remedial power…
Cited to establish that the review of administrative action is exclusively controlled by the Constitution and the PAJA, not free-floating common law…
Applied for the principle that judicial review of public power is now controlled by the Constitution and there are no common law reviews.
Applied for the principle that ultra vires review under common law is now a breach of the legality principle under the Constitution.
Applied for the principle that a court's exercise of discretion may not be interfered with on appeal merely because it was incorrect.
Distinguished on the basis that this case does not involve a serious breach of the Constitution, nor clearly established illegality, nor state self-review.
Cited as an example of a case where serious illegality under the Constitution justified overlooking delay.
Applied for the two-stage approach in assessing unreasonable delay and for the principle that prejudice may be ameliorated through remedial powers.
Applied for the test of when an appeal court may interfere with the exercise of discretion by the court of first instance.
Applied for the principle that a court may exercise discretion to hear a moot matter if the order has practical effect on parties or others.
Applied regarding the interests of justice test for leave to appeal and for the importance of tight timelines in section 54A of the Systems Act, as well as…
Cited in relation to the appointment of a Municipal Manager being a constitutional issue.
Court considers Notyawa to analyse the discretion to overlook delay in self-review under the legality principle.
This case is cited for the constitutional obligation under section 172(1)(a) to declare invalid law or conduct inconsistent with the Constitution and for…
Applied for the conclusion that decisions including the appointment of a Municipal Manager amount to administrative action.
Cited to support the principle that courts should not decide issues falling outside the pleadings without considering fairness and prejudice.
Cited for the principle that courts should not decide issues outside the pleadings without determining issues of fairness and prejudice.
Cited for the test to set aside a discretionary decision on appeal: the discretion must be exercised on incorrect facts or incorrect legal principles.