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This Court set out the standard for when exceptional circumstances exist for direct access, including urgency, prospects of success, public interest and saving…
This Court set out the standard for when exceptional circumstances are demonstrably established for direct access.
This Court held that the Constitution does not guarantee housing at the locality of choice, and upheld an eviction where alternative accommodation was offered…
This Court left the door open for the applicant to claim further relief in separate proceedings in a case of state failure.
The Court cites this case for the principle that courts enjoy a wide discretion as to what remedy would be effective, suitable and just in any given situation.
Cited for application of subsidiarity principle.
Cited as the case that introduced the spatial justice theory into section 26 jurisprudence.
This Court held that inclusion of socio-economic rights may result in orders with budgetary implications, but this does not breach the separation of powers.
This Court described execution as a means of enforcing a court order, regulated by statute and Rules of Court and subject to court supervision.
This Court held that temporary accommodation must include all that is reasonably appurtenant to making accommodation adequate, not just four walls, and…
This Court cautioned that committal of public officials would only result in naming and shaming and produce no real remedy for the aggrieved litigant.
Cited for the distinction between the forward-looking nature of public law litigation and the nature of ordinary litigation.
This Court considered the meaning of appropriate relief under the Constitution and held that it must be effective and may include constitutional damages but…
This Court described the state's constitutional obligations in relation to housing and introduced the reasonableness test for measures taken to progressively…
This Court held that what is appropriate relief depends on the facts of each case and available remedies.
Cited for the principle that socio-economic rights are justiciable and enforceable against the state.
This Court noted that delictual remedies include damages for recognised interests like damage to reputation and good name.
This Court confirmed that a private law delictual remedy may serve as appropriate relief to protect and enforce a constitutional right.
Cited for the principle of constitutional subsidiarity.
This Court stressed the remedial purpose of socio-economic rights to address contemporary effects of apartheid and colonialism, and to promote substantive…
This Court remarked on the dire situation and administrative disorder in the Municipality and displacement of people in Winnie Mandela Park.
This Court explained that legislative measures are the primary instrument for achievement of socio-economic rights, that those rights impose a negative…
The Supreme Court of Appeal noted that contempt of court is a blunt instrument to deal with social problems and courts should look to orders that secure…
This Court set out the positive obligations imposed by socio-economic rights and cautioned against courts ordering the state in a manner that has multiple…
The Supreme Court of Appeal granted constitutional damages for breach of property rights where eviction was not feasible, but this case is distinguishable as…
This Court held that the principle of subsidiarity cannot apply where legislation does not cover the relevant issue.
This Court stressed the importance of meaningful engagement in relation to the realisation of socio-economic rights.
The Supreme Court of Appeal considered factors to determine when constitutional damages are appropriate, including the availability of alternative remedies.
This Court declared that the Municipality had violated section 26 rights of applicants in another informal settlement.
This Court described the requirements for proving contempt of court and the dual nature of contempt orders (punitive and coercive).
This Court held that the Constitution does not guarantee a right to housing at state expense at the locality of a person's choice.
This Court considered that delictual damages for infringement of dignity can constitute appropriate relief under section 38.
This Court left the door open for future development of the common law 'once and for all' rule in cases of systemic state failure.
This Court held that the discretion to make any order that is just and equitable is wide but is circumscribed by the factors of justice and equity.
Cited for the principle of constitutional subsidiarity.
This Court held that the remedy must fit the injury and be fair, effective, suitable, and just.
This Court held that finality in litigation promotes certainty, which is a component of the rule of law.
Cited for the principle of constitutional subsidiarity.
This Court set out the test for when expecting a claimant to pursue an alternative remedy would be manifestly unjust or unreasonable, and declined to award…
This Court emphasised the importance of socio-economic rights to transformation and noted the dire consequences of their breach.
Appellate Division stated that finality in litigation is reached when the judicial process ends.
This Court described the judicial process and execution as separate, consecutive processes, with execution commencing after the judicial process has ended.
This Court held that contempt of court orders are essential in upholding the authority of courts.