R v Ngoc Nguyen Minh

R v Ngoc Nguyen Minh

Only those categories of electronic evidence that are of central importance to the trial should be included in the PPE count. The determining officer correctly exercised discretion by including all pertinent categories and 5% of image data, and the appellant failed to demonstrate that a higher allowance was justified.

Source-derived case information.

Parties
Appellant: Drummond Solicitors Limited; Defendant: Ngoc Nguyen Minh
Jurisdiction
England and Wales
Procedural Posture
Criminal Costs Appeal / Appeal From Determining Officer's PPE Assessment
Outcome
appeal dismissed
Legal Topics
Legal Aid Remuneration, Litigators’ Graduated Fee Scheme, Pages of Prosecution Evidence (ppe), Electronic Evidence Inclusion
Criminal Law Legal Costs Legal Aid Remuneration Litigators’ Graduated Fee Scheme Pages of Prosecution Evidence (ppe) Electronic Evidence Inclusion

Source-derived case record

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Parties

Drummond Solicitors Limited

Appellant

Ngoc Nguyen Minh

Defendant

Procedural Posture

Criminal Costs Appeal / Appeal From Determining Officer's PPE Assessment

  1. 1 What is the appropriate PPE count for the purposes of calculating the graduated fee under the Criminal Legal Aid (Remuneration) Regulations 2013?
  2. 2 Should all electronic evidence served be included in the PPE count, or only certain categories?

Ratio Decidendi

Only those categories of electronic evidence that are of central importance to the trial should be included in the PPE count. The determining officer correctly exercised discretion by including all pertinent categories and 5% of image data, and the appellant failed to demonstrate that a higher allowance was justified.

Court Disposition

appeal dismissed

Orders

  • The appeal is dismissed.