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Cited in Froneman J's judgment to show that wide and equitable remedial powers do not exclude the operation of the Prescription Act.
Relied on by the High Court to distinguish single wrongful acts from continuing wrongs, holding that the acts complained of were single acts with long-term…
Cited on the requirement for courts to consider the interests of all shareholders and the company when exercising discretion under section 252(3).
Cited in Froneman J's judgment to support the holding that a vindicatory action is not a 'debt' under the Prescription Act.
Cited in Froneman J's judgment to illustrate that rectification claims for contract do not constitute debts under the Prescription Act.
The High Court applied Koster to hold that a claim to set aside impeachable transactions constitutes a 'debt' for purposes of the Prescription Act.
Cited in Froneman J's judgment to support the proposition that the rigid conceptual distinction between fairness and law is discordant with constitutional…
Followed to support the finding that a statutory right to apply to court for the exercise of a statutory discretionary power is not a 'debt' under the…
Cited on the principle that fairness is the criterion by which a court must decide whether it has jurisdiction to grant relief under section 252 and that the…
Cited in Froneman J's judgment to illustrate that rectification claims for deeds of transfer do not constitute debts under the Prescription Act.
Applied to interpret the meaning of 'debt' under the Prescription Act and to hold that the term must be given a narrow meaning, in conflict with the SCA's…
Cited in Froneman J's judgment in relation to wrongful act and resultant harm for prescription purposes.
Cited in Froneman J's judgment to confirm the need for a fresh look at the Prescription Act in light of section 34 of the Constitution.
This is the High Court judgment from which the matter was appealed to the Supreme Court of Appeal. The appeal is upheld in part.
Cited in Froneman J's judgment for the distinction between rights that have as their object a thing versus performance by another.
Applied to confirm that interpretation of prescription legislation implicates the right of access to courts under section 34 of the Constitution.
Distinguished in Barnett to show the difference between a single act of deprivation in the past and ongoing wrongful conduct depriving possession.
Cited in Madlanga J's judgment to confirm that a court may not raise the defence of prescription of its own accord.
Cited for the proposition that a claim for declaratory relief is not a 'debt' subject to prescription.
The court relies on this authority for the definition of debt in terms of the Act.
Cited alongside Makate in relation to the debate on the interpretation of 'debt'.
High court decision that was later overturned on appeal to the SCA and then to the Constitutional Court in relation to whether s 252 claims prescribe.
This Constitutional Court decision is cited for the principle that unreasonable delay is a factor that may affect the grant of discretionary remedies.