Ashford Sankar and others v Public Services Commission (Trinidad and Tobago)

Ashford Sankar and others v Public Services Commission (Trinidad and Tobago)

The Commission's use of the ACE as a shortlisting tool did not contravene Regulation 18, as it was a legitimate means of assessing merit and ability for senior posts. There was no evidence of unlawful delegation or executive interference, and the process did not breach legitimate expectations or procedural fairness.

Source-derived case information.

Parties
Appellant: Ashford Sankar and others; Appellant: Hermia Tyson-Cuffie; Respondent: Public Services Commission
Jurisdiction
England and Wales
Judgment Date
09 August 2011
Procedural Posture
Appeal / Judgment From Privy Council on Appeal From the Court of Appeal of Trinidad and Tobago
Outcome
Appeal dismissed
Legal Topics
Public Service Appointments, Promotion Procedures, Legitimate Expectation, Delegation of Statutory Powers, Procedural Fairness
Administrative Law Constitutional Law Employment Law Public Service Appointments Promotion Procedures Legitimate Expectation Delegation of Statutory Powers Procedural Fairness

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Parties

Ashford Sankar and others

Appellant

Hermia Tyson-Cuffie

Appellant

Public Services Commission

Respondent

Procedural Posture

Appeal / Judgment From Privy Council on Appeal From the Court of Appeal of Trinidad and Tobago

  1. 1 Whether the Public Services Commission's use of the Assessment Centre Exercise (ACE) for shortlisting candidates for promotion was consistent with Regulation 18 of the Public Service Commission Regulations
  2. 2 Whether the Commission unlawfully delegated or abrogated its statutory duties to the executive
  3. 3 Whether the ACE process breached the appellants' legitimate expectations or was procedurally unfair

Ratio Decidendi

The Commission's use of the ACE as a shortlisting tool did not contravene Regulation 18, as it was a legitimate means of assessing merit and ability for senior posts. There was no evidence of unlawful delegation or executive interference, and the process did not breach legitimate expectations or procedural fairness.

Court Disposition

Appeal dismissed