Elliott v. Woodstock Agricultural Society

Elliott v. Woodstock Agricultural Society

An owner’s intention to hold land for future development qualifies as a current use during the statutory limitation period and must be considered under the inconsistent use test; therefore adverse possession cannot be established where the claimant’s use is not inconsistent with the owner’s contemporaneous use or...

Source-derived case information.

Citation
2008 ONCA 648
Parties
Respondent: Robert Innes Elliott; Respondent: Patricia Lee Elliott; Appellant: Woodstock Agricultural Society
Court
Court of Appeal for Ontario
Jurisdiction
Canada
Judgment Date
26 September 2008
Procedural Posture
Civil Appeal Concerning Adverse Possession/real Property / Appeal From Superior Court of Justice Judgment on Application for Declaration of Possessory Title
Outcome
Appeal allowed; application judge’s declaration of adverse possession set aside and replaced with declaration that the respondents are trespassers and have no claim to the lands by adverse possession.
Legal Topics
Adverse Possession, Limitations, Inconsistent Use Test, Possession, Trespass, Title Declaration, Costs
Source Language
en
Property Law Civil Procedure Equity Adverse Possession Limitations Inconsistent Use Test Possession Trespass +2 more

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Parties

Robert Innes Elliott

Respondent

Patricia Lee Elliott

Respondent

Woodstock Agricultural Society

Appellant

Procedural Posture

Civil Appeal Concerning Adverse Possession/real Property / Appeal From Superior Court of Justice Judgment on Application for Declaration of Possessory Title

  1. 1 Whether the respondents acquired title by adverse possession under the Real Property Limitations Act
  2. 2 Whether an owner’s intention to hold land for future development constitutes a current use for the purposes of the inconsistent use test
  3. 3 Whether the respondents’ offer to purchase constituted an acknowledgment affecting adverse possession claim

Ratio Decidendi

An owner’s intention to hold land for future development qualifies as a current use during the statutory limitation period and must be considered under the inconsistent use test; therefore adverse possession cannot be established where the claimant’s use is not inconsistent with the owner’s contemporaneous use or purpose of holding for development, and the application judge erred in excluding that consideration leading to substitution of the declaration sought by the owner.

Court Disposition

Appeal allowed; application judge’s declaration of adverse possession set aside and replaced with declaration that the respondents are trespassers and have no claim to the lands by adverse possession.

Orders

  • Set aside the judgment and declaration of the application judge and substitute the declaration sought by the Woodstock Agricultural Society that the respondents are trespassing on the lands and do not have a claim to the lands by adverse possession
  • Order that the Woodstock Agricultural Society may remove the possessions of the respondents from the lands at the cost of the respondents