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Applicants relied on Cape Explosives Works in support of their argument that section 10(3) expropriates a servitude akin to a restrictive condition to title.
Court applied the principle from East Zulu Motors that an order based on a declaration of statutory invalidity must fall when the declaration is not confirmed.
Court considered Steinberg regarding the distinction between expropriation and deprivation by regulatory measures, and the possibility of developing a doctrine…
Court applied the distinction established in Harksen between expropriation (compulsory acquisition) and deprivation of rights in property falling short of…
Applied for the proposition that expropriation requires the state to acquire property and that where the state has not acquired the applicants' land, no…
Applied for the test of arbitrariness, requiring compelling reasons for extensive restrictions on land ownership.
Applied at para 77 for the principle that a deprivation of property must be rationally connected and proportionate to the purpose sought to be achieved.
Applied for the rejection of expropriation claim on the basis that the State did not acquire any rights, thus acquisition is a necessary characteristic of…
This Court applied the test from First National Bank for determining whether deprivation of property is arbitrary under section 25(1), including considerations…
Court applied the principle from Masetlha that consultative processes must be considered in light of the exigencies and practicalities of the circumstances.
Court applied the principle from Mkontwana that legislation must be construed to avoid unconstitutionality if capable of such construction. Court also applied…
Court applied the principle from Pharmaceutical Manufacturers that the power to bring legislation into force lies somewhere between legislative and…
Cited for the principle that courts must interpret legislation in a manner that promotes the spirit, purport and objects of the Bill of Rights when…
Cited for the principle that courts must promote the spirit, purport and objects of the Bill of Rights when interpreting legislation.
Cited in relation to questions concerning the development of a doctrine of constructive expropriation.
Applied for the arbitrariness enquiry focusing on the relationship between the law, its ends, and impact on property, including rational connection and…
Cited as authority on the structural approach to section 25 analysis.
Cited as authority on the Constitutional Court's guidance on protection against arbitrary deprivation of property under s 25(1) of the Constitution.
Cited for the principle that whether there has been a deprivation depends on the extent of interference with the use, enjoyment or exploitation of the…
The Supreme Court of Appeal relied on this case, but the applicants distinguish it on the basis that it did not deal with conduct of organs of state that…
The Court cites Reflect-All in discussing deprivation of use, enjoyment and exploitation of property, specifically in relation to immovable property.