Authors
Bilal Qureshi
The Court of King’s Bench of Alberta (the Court) recently revisited the stringent boundaries on the types of claims that can be brought against court-appointed officers. The decision in North v Davison, 2024 ABKB 242 (the Decision) highlighted the protective measures that courts employ to safeguard the integrity and function of receivership proceedings against unfounded or speculative claims. In the Decision, the Court struck down a counterclaim against Ernst & Young Inc. and its individual representative (collectively, the Receiver), due to the failure of the applicant (the Davison Parties) to advance a reasonable claim. Additionally, the Court denied the Davison Parties’ request for leave to sue the Receiver, emphasizing the high standards required for legal actions against receivers and the importance of presenting clear, substantiated claims.
The Court considered an application by the Receiver to strike a counterclaim filed by the Davison Parties against the Receiver within the context of a receivership proceeding. In the counterclaim, the Davison Parties requested leave to commence a lawsuit against the Receiver—a step required under the Receivership Order. They asserted that the Receiver’s conduct constituted conspiracy, gross negligence and willful misconduct, unjust enrichment, and interference with contractual relations.
Rule 3.68 of the Rules allows for striking a claim if the Applicant does not disclose a reasonable cause of action or if it is abusive. In considering the application under Rule 3.68, the Court evaluated the counterclaim to determine whether the claims were clear, substantiated, and capable of success.
The modern approach to Rule 3.68 aims to provide a fair yet proportionate response to civil litigation and examines whether an action has a reasonable prospect of success. Because striking a counterclaim is a significant measure, the Court applied the Rule sparingly, noting that Rule 3.68 had been misused in its applications for claims that were “probably bad”. However, in the Decision, the Court found that the counterclaims against the Receiver were “certainly bad” and therefore struck them down.
The Court's analysis demonstrated a high threshold for claims against receivers, emphasizing that claims must be based on clear evidence and not on speculative or broad allegations.
The Davison Parties requested that the Court look at three distinct periods when considering whether leave to sue the Receiver ought to be granted:
The Court ultimately ordered that the counterclaim be struck and denied the Davison Parties’ applications for leave to sue the Receiver. The parties were invited to make submissions on costs in the case that they could not be agreed to.
The Court’s decision underscored the need for parties to present clear, substantiated claims supported by credible evidence when pursuing legal action against receivers. It serves as a reminder of the stringent standards courts impose when evaluating claims and granting leave to pursue legal actions against court-appointed officers. Such rigour upholds the integrity and efficiency of legal proceedings within the context of receivership cases.
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