Tarek-Kaminker v. Canada (Attorney General)

Tarek-Kaminker v. Canada (Attorney General)

The Court dismissed the judicial review because the Board reasonably and transparently found the medical evidence insufficient (the parties' stipulation concerned admissibility not probative weight), did not draw an adverse inference from non‑testimony, properly grounded adverse credibility findings in the evidence,...

Source-derived case information.

Citation
2023 FCA 135
Parties
Applicant: Anjie Tarek-Kaminker; Respondent: Attorney General of Canada
Court
Federal Court of Appeal
Jurisdiction
Canada
Judgment Date
13 June 2023
Procedural Posture
Judicial Review of FPSLREB Grievance Decision / Federal Court of Appeal Decision on Judicial Review (dismissal)
Outcome
Application for judicial review dismissed with costs awarded to the Respondent
Legal Topics
Judicial Review, Procedural Fairness, Duty to Accommodate, Religious Discrimination, Family Status Discrimination, Intersectionality, Evidence and Credibility, Admissibility and Weight of Medical Evidence
Source Language
en
Administrative Law Employment Law Human Rights Law Labour Relations Judicial Review Procedural Fairness Duty to Accommodate Religious Discrimination +4 more

Source-derived case record

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Parties

Anjie Tarek-Kaminker

Applicant

Attorney General of Canada

Respondent

Procedural Posture

Judicial Review of FPSLREB Grievance Decision / Federal Court of Appeal Decision on Judicial Review (dismissal)

  1. 1 Whether the Board unreasonably drew an adverse inference from the applicant's failure to call medical witnesses and whether that breached procedural fairness
  2. 2 Whether the Board failed to adequately consider intersectional discrimination (religion and family status)
  3. 3 Whether the Board applied an unduly onerous test for prima facie family status discrimination under Johnstone

Ratio Decidendi

The Court dismissed the judicial review because the Board reasonably and transparently found the medical evidence insufficient (the parties' stipulation concerned admissibility not probative weight), did not draw an adverse inference from non‑testimony, properly grounded adverse credibility findings in the evidence, adequately considered intersectionality given the parties' submissions, and reasonably applied the Johnstone framework to conclude the applicant failed to establish a prima facie case of family status discrimination.

Court Disposition

Application for judicial review dismissed with costs awarded to the Respondent

Orders

  • Application for judicial review dismissed
  • Costs awarded to the Respondent