Bishop, R (on the application of) v Westminster Council & Ors [2017] EWHC 3102 (Admin) (15 December 2017)
The planning permission was quashed because the applicant for the second planning application failed to notify the claimant, an owner of part of the land, as required by Article 13 of the DMPO and section 65 of the Town and Country Planning Act 1990. The certificate of ownership was recklessly completed with false...
Source-derived case information.
- Citation
- [2017] EWHC 3102 (Admin)
- Parties
- Claimant: Alan Bishop; Defendant: Westminster Council; Interested Party: Nadeem Ullah; Interested Party: Mortimer London Limited
- Jurisdiction
- England and Wales
- Judgment Date
- 15 December 2017
- Procedural Posture
- Judicial Review / Final Judgment
- Outcome
- Claim allowed in part; planning permission quashed on Ground 1; claim dismissed on Ground 2.
- Legal Topics
- Planning Permission, Certificate of Ownership, Procedural Fairness, Legitimate Expectation, Judicial Review, Notification Requirements
Source-derived case record
Summary, issues, holding and outcome
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Parties
Alan Bishop
Claimant
Westminster Council
Defendant
Nadeem Ullah
Interested Party
Mortimer London Limited
Interested Party
Procedural Posture
Judicial Review / Final Judgment
Legal Issues
- 1 Whether the applicant for planning permission failed to notify an owner of the land as required by law
- 2 Whether the local planning authority failed to notify an adjoining owner or occupier as required by law
- 3 Whether the court should exercise its discretion to quash the planning permission despite procedural defects
Ratio Decidendi
The planning permission was quashed because the applicant for the second planning application failed to notify the claimant, an owner of part of the land, as required by Article 13 of the DMPO and section 65 of the Town and Country Planning Act 1990. The certificate of ownership was recklessly completed with false and misleading information, and the court found no grounds to exercise its discretion to refuse relief. The challenge based on failure to notify as an adjoining owner failed, as there was no legitimate expectation or procedural unfairness established.
Court Disposition
Claim allowed in part; planning permission quashed on Ground 1; claim dismissed on Ground 2.
Orders
- The second planning permission is quashed.
- No relief granted on Ground 2.
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