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Applied for the principle that a loan without agreement as to time for repayment is repayable on demand, meaning that no specific demand for repayment is…
Applied in the dissenting judgment for the general rule that in obligations where no time for payment was agreed, the debt is due forthwith.
Applied for the principle that conditions in a contract are strictly interpreted.
Applied in the dissenting judgment for the principle that the language used in the agreement is the first port of call in ascertaining the common intention of…
Applied to confirm that prescription in respect of loans payable on demand begins to run when the debt arises unless there is clear indication to the contrary.
Cited for the possible consequence that a declaration of invalidity might give shareholders standing to apply for an interdict against Senwesbel to vote or…
Cited for the proposition that an applicant must have the necessary legally recognised interest in order to obtain a declaratory order.
Distinguished because it dealt with a bank's right to enforce an acceleration clause in a long-term loan secured by mortgage bonds over immovable property,…
Applied for the principle that the same principles of interpretation apply to contracts.
Cited for the proposition that 'due' and 'payable' are not coextensive with one another.
Distinguished as not supportive of Airlink's case; the Constitutional Court decision concerned when a debt became due and payable for determination of…
One of the decisions of the Supreme Court of Appeal referenced as having accepted the common law derivative action as part of South African law and also cited…
Distinguished on the facts as it concerned an agreement where the debt was due on demand, unlike the present suspensive condition case.
The SCA dismissed the appeal by majority judgment (Willis JA, Theron JA and Swain JA). The majority found that the claim had prescribed, holding that the debt…
Cited for the principle that when standing is challenged, the applicant's assertions must be accepted as correct for purposes of determining standing.
Distinguished by the court after the respondent relied on it to argue that the debt arising and becoming due did not coincide.