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England and Wales High Court (Queen's Bench Division) Decisions |
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You are here: BAILII >> Databases >> England and Wales High Court (Queen's Bench Division) Decisions >> Arlington House Ltd & Ors v Torbay Care Trust Pt Hd [2013] EWHC 4466 (QB) (12 April 2013) URL: http://www.bailii.org/ew/cases/EWHC/QB/2013/4466.html Cite as: [2013] EWHC 4466 (QB) |
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QUEEN'S BENCH DIVISION
Strand London WC2A 2LL |
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B e f o r e :
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ARLINGTON HOUSE LTD & ORS | Claimant/Respondent | |
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TORBAY CARE TRUST PT HD | Defendant/Appellant |
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8th Floor, 165 Fleet Street, London, EC4A 2DY
Tel No: 020 7421 4036 Fax No: 020 7404 1424
Web: www.merrillcorp.com/mls Email: [email protected]
(Official Shorthand Writers to the Court)
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Crown Copyright ©
"Notwithstanding part (d) 24.1 and 24.2 above or any other provisions hereof including part (d) 26, if it shall appear to the service purchaser in the reasonable exercise of his discretion that a default or the continuation of a default in the performance of the service provider's obligations under this agreement presents a sufficiently immediate and significant risk to the person, health or wellbeing of a service user, then the service purchaser shall be entitled forthwith or upon such notice as shall to the service purchaser seem appropriate to terminate any or all individual care contracts and/or this agreement."
"In the premises, TCT actions in removing the TCT residents and/or in purporting to terminate the TCT agreement and the individual care contracts constituted a breach of the terms of the TCT agreement as set out in section (b) above."
What was pleaded was: "Further or alternatively, TCT acting with knowledge of the individual care contracts, the DCC agreement (that is an agreement with Devon County Council) and the private residents agreement, and with the intention of procuring a breach thereof: (a) persuaded and/or pressurised the TCT residents and/or their families to allow TCT to remove the TCT residents from the home and/or remove the TCT residents from the home without consulting them and/or their families, and thereby caused the TCT residents to breach their respective individual care contracts; (b) persuaded and/or pressurised DCC to issue a serious default notice and to purport to terminate the DCC agreement and the individual service contracts with immediate effect and to allow TCT to remove the DCC residents from the home, and thereby caused DCC to breach the DCC agreement; (c) persuaded and/or pressurised private residents and/or their families to allow TCT to remove the private residents from the home and/or remove the private residents from the home without consulting them and/or their families, and thereby caused the private residents to breach their respective private residents agreements."
"By reason of TCT's unjustified interference with the individual care contract, the DCC agreement and the private residents agreement, Arlington House has suffered loss and damage as set out in section (h) below."
"Further or alternatively, TCT owed Arlington House a duty of care to exercise reasonable skill and care in carrying out its powers and functions. In breach of this duty, TCT failed to exercise reasonable skill and care in taking the decision to decommission the home and to remove the residents from the home."
"By reason of TCT's breach of its duty of care, Arlington House has suffered loss and damage as set out in section (h) below."
"Further or alternatively by reason of the actions and omissions of TCT between January 2010 and March 2011 as set out above, Arlington House has been prevented from carrying out its business as a residential care home and has suffered damage to the goodwill of its business."
"The actions and omissions of TCT in this period thereby constituted an unjustified interference with the right of Arlington House to peaceful enjoyment of its possessions in breach of article 1 of the First Protocol to the European Convention on Human Rights. TCT's actions and omissions were consequently unlawful under section 6(1) of the Human Rights Act. This interference continued until March 2011 when TCT finally completed the referral of Mr Mann and Mrs Clerk to the Independent Safeguarding Authority and that referral was dismissed."
"(1) To strike out the claimant's case set out in paragraphs 32 and 33 of the particulars of claim pursuant to part 3.4.2(a) of the Civil Procedure Rules as disclosing no arguable claim in law; and/or (2) summary judgment pursuant to part 24.2 on the grounds that the claims identified in paragraphs 28 to 36 of the particulars of claim have no real prospect of success and there is no other compelling reason why the case should be disposed of at trial."
"To be liable for inducing breach of contract, you must know that you are inducing a breach of contract. It is not enough that you know that you are procuring an act which, as a matter of law or construction of the contract, is a breach. You must actually realise that it will have this effect."
"Every natural or legal person is entitled to the peaceful enjoyment of his possessions. No one shall be deprived of his possessions except in the public interest and subject to the conditions provided for by law and by the general principles of international law."