Nguyen (Re)

Nguyen (Re)

The Court dismissed the appeal, holding the Board provided adequate implicit notice of its concerns through significantly probing questioning so there was no breach of procedural fairness, and the Board's refusal to approve the transfer to Waypoint was reasonable and supported by the Waypoint letter and other...

Source-derived case information.

Citation
2020 ONCA 247
Parties
Appellant: Hung Van Nguyen; Respondent: Attorney General of Ontario; Respondent: Person in Charge of the Centre for Addiction and Mental Health
Court
Court of Appeal for Ontario
Jurisdiction
Canada
Judgment Date
8 April 2020
Procedural Posture
Criminal Appeal Under Part Xx.1 of the Criminal Code (ncr Disposition) / Appeal From Ontario Review Board Disposition to the Court of Appeal for Ontario
Outcome
Appeal dismissed; Ontario Review Board disposition upheld
Legal Topics
Not Criminally Responsible (ncr), Ontario Review Board Dispositions, Procedural Fairness, Reasonableness Review, Joint Submissions, Transfer and Least Restrictive/least Onerous Disposition
Source Language
en
Criminal Law Mental Health Law Administrative Law Not Criminally Responsible (ncr) Ontario Review Board Dispositions Procedural Fairness Reasonableness Review Joint Submissions +1 more

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Parties

Hung Van Nguyen

Appellant

Attorney General of Ontario

Respondent

Person in Charge of the Centre for Addiction and Mental Health

Respondent

Procedural Posture

Criminal Appeal Under Part Xx.1 of the Criminal Code (ncr Disposition) / Appeal From Ontario Review Board Disposition to the Court of Appeal for Ontario

  1. 1 Whether the Board breached procedural fairness by failing to give notice it might reject a joint submission to transfer the appellant
  2. 2 Whether the Board's decision rejecting transfer to Waypoint was unreasonable or unsupported by the evidence
  3. 3 Whether the Board misapprehended evidence about off-unit privileges and treatment options such that its disposition was not the least onerous/least restrictive

Ratio Decidendi

The Court dismissed the appeal, holding the Board provided adequate implicit notice of its concerns through significantly probing questioning so there was no breach of procedural fairness, and the Board's refusal to approve the transfer to Waypoint was reasonable and supported by the Waypoint letter and other evidence such that the disposition to continue detention at CAMH was justified.

Court Disposition

Appeal dismissed; Ontario Review Board disposition upheld

Orders

  • Appeal dismissed; Board disposition ordering continued detention at CAMH subject to conditions is upheld