Willson v. Bond Estate

Willson v. Bond Estate

The Fatal Injuries Act permits an executor to commence a statutory action within 12 months of death only if the deceased had a viable cause of action at the time of death; because the Pharmacy Act one‑year limitation had not expired when the deceased died, the Estate’s action brought within one year of death was...

Source-derived case information.

Citation
2019 NSCA 24
Parties
Appellant: Alexandra Willson; Appellant: John/Jane Doe; Appellant: Canso Pharmacy Ltd.; Respondent: Carlton Bond as the Executor of the Estate of Bernice Bond
Court
Nova Scotia Court of Appeal
Jurisdiction
Canada
Judgment Date
2 April 2019
Procedural Posture
Civil Appeal (court of Appeal) / Decision (leave Granted; Appeal Dismissed)
Outcome
Leave to appeal granted; appeal dismissed
Legal Topics
Limitation Periods, Fatal Injuries Act Interpretation, Survival of Causes of Action, Extension of Limitation (s.12 Limitation of Actions Act), Professional Liability of Pharmacists
Source Language
en
Limitations Professional Negligence Estate Law Statutory Interpretation Pharmacy Regulation Tort Law Limitation Periods Fatal Injuries Act Interpretation +3 more

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Parties

Alexandra Willson

Appellant

John/Jane Doe

Appellant

Canso Pharmacy Ltd.

Appellant

Carlton Bond as the Executor of the Estate of Bernice Bond

Respondent

Procedural Posture

Civil Appeal (court of Appeal) / Decision (leave Granted; Appeal Dismissed)

  1. 1 Whether the one‑year limitation under the Pharmacy Act (from provision of professional services) or the one‑year limitation under the Fatal Injuries Act (from death) governs the Executor’s claim
  2. 2 Whether a Fatal Injuries Act action exists where the deceased had a viable cause of action at death
  3. 3 Whether the motions judge erred in interpreting the Pharmacy Act, Fatal Injuries Act, or in applying limitation principles including s.12 of the Limitation of Actions Act

Ratio Decidendi

The Fatal Injuries Act permits an executor to commence a statutory action within 12 months of death only if the deceased had a viable cause of action at the time of death; because the Pharmacy Act one‑year limitation had not expired when the deceased died, the Estate’s action brought within one year of death was timely and the limitation defence fails.

Court Disposition

Leave to appeal granted; appeal dismissed

Orders

  • Leave to appeal granted
  • Appeal dismissed with costs