Remo Valente Real Estate (1990) Limited v. Portofino Riverside TowerInc.

Remo Valente Real Estate (1990) Limited v. Portofino Riverside TowerInc.

The Divisional Court was correct that the oppression claim fails, but because a significant breach of contract issue remains unresolved the appropriate remedy is a new trial on that issue; given the mixed success and intertwined litigation history the fair order is that each side bear its own costs to date and the...

Source-derived case information.

Citation
2012 ONCA 51
Parties
Appellant: Remo Valente Real Estate (1990) Limited; Respondent: Portofino Riverside Tower Inc.; Respondent: Westview Park Gardens (2004) Inc.; Respondent: Portofino Corporation; Respondent: Dante J. Capaldi
Court
Court of Appeal for Ontario
Jurisdiction
Canada
Judgment Date
26 January 2012
Procedural Posture
Civil Appeal (oppression and Breach of Contract) / Court of Appeal Decision on Costs and Remittal of Contract Issue to New Trial
Outcome
Appeal allowed in part: Divisional Court decision on oppression upheld; new trial ordered on the breach of contract issue; costs in this court and below: each party to bear its own costs; costs of the new trial to be for the trial judge.
Legal Topics
Oppression Remedy, Breach of Contract, Costs Allocation, Remission to Trial
Source Language
en
Corporate Law Contract Law Civil Procedure Costs Oppression Remedy Breach of Contract Costs Allocation Remission to Trial

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Parties

Remo Valente Real Estate (1990) Limited

Appellant

Portofino Riverside Tower Inc.

Respondent

Westview Park Gardens (2004) Inc.

Respondent

Portofino Corporation

Respondent

Dante J. Capaldi

Respondent

Procedural Posture

Civil Appeal (oppression and Breach of Contract) / Court of Appeal Decision on Costs and Remittal of Contract Issue to New Trial

  1. 1 Whether the oppression claim succeeded
  2. 2 Whether breach of contract issue required determination by a new trial
  3. 3 How costs should be allocated given multiple issues and mixed success

Ratio Decidendi

The Divisional Court was correct that the oppression claim fails, but because a significant breach of contract issue remains unresolved the appropriate remedy is a new trial on that issue; given the mixed success and intertwined litigation history the fair order is that each side bear its own costs to date and the trial judge will determine costs of the new trial.

Court Disposition

Appeal allowed in part: Divisional Court decision on oppression upheld; new trial ordered on the breach of contract issue; costs in this court and below: each party to bear its own costs; costs of the new trial to be for the trial judge.

Orders

  • No costs awarded in this court or below; each party shall bear its own costs.
  • A new trial is ordered on the breach of contract issue.