Leave Denied: Toronto Mayor Rob Ford Avoids Date With SCC

BJ
Bennett Jones LLP

Contributor

Bennett Jones is one of Canada's premier business law firms and home to 500 lawyers and business advisors. With deep experience in complex transactions and litigation matters, the firm is well equipped to advise businesses and investors with Canadian ventures, and connect Canadian businesses and investors with opportunities around the world.
The Supreme Court of Canada denied leave to appeal from the Divisional Court’s decision in Magder v. Ford, 2012 ONSC 6929, a decision that kept Mayor Ford in office by reversing a lower court ruling that found him in breach of the Municipal Conflict of Interest Act and declared his seat on Toronto City Council vacant.
Canada Litigation, Mediation & Arbitration
To print this article, all you need is to be registered or login on Mondaq.com.

The Mayor of Toronto has one less thing to worry about.

This morning the Supreme Court of Canada denied leave to appeal from the Divisional Court’s decision in Magder v. Ford, 2012 ONSC 6929, a decision that kept Mayor Ford in office by reversing a lower court ruling that found him in breach of the Municipal Conflict of Interest Act and declared his seat on Toronto City Council vacant. The Court does not customarily give reasons for its leave decisions and none were released today.

The legal issue concerned whether Mayor Ford had voted on a matter involving a personal pecuniary interest. In this case, the Mayor had voted to rescind a decision of Council that required him to repay $3,150 in charitable donations made to the Rob Ford Football Foundation. The Divisional Court held that even though the matter engaged the Mayor’s pecuniary interest, the vote was a nullity because City Council did not have jurisdiction to order the original sanction.

The sanction against the Mayor was ordered in response to a report from the City’s Integrity Commissioner who found that Mayor Ford had improperly solicited charitable donations via his office and using City’s official letterhead.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

We operate a free-to-view policy, asking only that you register in order to read all of our content. Please login or register to view the rest of this article.

See More Popular Content From

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More