Swindon Borough Council v Zackeriah Gordon

Swindon Borough Council v Zackeriah Gordon

The 28-day time limit in CPR 65.47 applies to the entire proceedings following arrest, including sentencing. Once the period expires, the court should not impose a sentence for contempt arising from the arrest. Activation of a suspended sentence is part of the sentencing exercise and cannot occur after the time...

Source-derived case information.

Parties
Appellant: Swindon Borough Council; Respondent: Zackeriah Gordon
Jurisdiction
England and Wales
Judgment Date
31 January 2025
Procedural Posture
Appeal / Judgment
Outcome
appeal dismissed
Legal Topics
Injunctions, Contempt of Court, Time Limits, Sentencing, Committal Applications
Civil Procedure Anti Social Behaviour Injunctions Contempt of Court Time Limits Sentencing Committal Applications

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Parties

Swindon Borough Council

Appellant

Zackeriah Gordon

Respondent

Procedural Posture

Appeal / Judgment

  1. 1 Whether the court had jurisdiction to impose a sentence for breaches of an injunction after the 28-day time limit under CPR 65.47 had expired
  2. 2 Interpretation of 'the matter' in CPR 65.47
  3. 3 Whether activation of a suspended sentence is part of the sentencing exercise

Ratio Decidendi

The 28-day time limit in CPR 65.47 applies to the entire proceedings following arrest, including sentencing. Once the period expires, the court should not impose a sentence for contempt arising from the arrest. Activation of a suspended sentence is part of the sentencing exercise and cannot occur after the time limit lapses.

Court Disposition

appeal dismissed

Orders

  • No order in respect of breaches
  • Respondent discharged