R. v. Teng

R. v. Teng

The Rowbotham application was properly dismissed as an abuse of process because the trial judge’s factual findings—that the appellant engineered counsel’s removal, made no meaningful effort to obtain replacement counsel, and timed the application to derail the trial—were open on the evidence; accordingly the...

Source-derived case information.

Citation
2021 ONCA 785
Parties
Respondent: Her Majesty the Queen; Appellant: Xiu Jin Teng
Court
Court of Appeal for Ontario
Jurisdiction
Canada
Judgment Date
5 November 2021
Procedural Posture
Criminal Appeal / Court of Appeal Decision on Conviction and Sentence Appeal
Outcome
Appeal from conviction dismissed; sentence order under s.743.21 varied
Legal Topics
Rowbotham Funding Application, Section 11(b) Delay (jordan/morin Analysis), Section 10 Detention and Rights to Counsel, Voluntariness and Exclusion of Statements (s.24(2)), Circumstantial Evidence and Jury Instructions, First Degree Murder: Planning and Deliberation, Section 743.21 Communications Prohibition
Source Language
en
Criminal Law Constitutional Law Evidence Law Procedural Law Sentencing Family Law Rowbotham Funding Application Section 11(b) Delay (jordan/morin Analysis) +5 more

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Parties

Her Majesty the Queen

Respondent

Xiu Jin Teng

Appellant

Procedural Posture

Criminal Appeal / Court of Appeal Decision on Conviction and Sentence Appeal

  1. 1 Whether the Rowbotham funding application was bona fide or an abuse of process
  2. 2 Whether s.11(b) Charter right to trial within reasonable time was breached
  3. 3 Whether appellant was detained for s.10 purposes when questioned at home

Ratio Decidendi

The Rowbotham application was properly dismissed as an abuse of process because the trial judge’s factual findings—that the appellant engineered counsel’s removal, made no meaningful effort to obtain replacement counsel, and timed the application to derail the trial—were open on the evidence; accordingly the appellant received a fair trial despite proceeding unrepresented; the s.11(b) claim failed under the Jordan transitional exception and Morin analysis; appellant was not detained for s.10 purposes when police questioned her at the scene; jury instructions were adequate; conviction for first-degree murder was reasonable; the s.743.21 communications prohibition was appropriate but must...

Court Disposition

Appeal from conviction dismissed; sentence order under s.743.21 varied

Orders

  • Appeal from conviction dismissed
  • Leave to appeal sentence granted