Barry v. Medical Council [1997] IEHC 204; [1998] 3 IR 368 (11th February, 1997)

Barry v. Medical Council [1997] IEHC 204; [1998] 3 IR 368 (11th February, 1997)

The Committee had statutory discretion to hold the inquiry in private or public. Exercising this discretion to hold the inquiry in private, given the sensitive nature of the allegations and the need to protect complainants' privacy, did not breach constitutional fair procedures or international norms. The statutory...

Source-derived case information.

Citation
[1998] 3 IR 368
Parties
Applicant: Dr Barry; Respondent: Medical Council and Fitness to Practise Committee of the Medical Council
Jurisdiction
Ireland
Procedural Posture
Judicial Review / High Court Judgment on Application to Quash Fitness to Practise Committee Decision
Outcome
Application dismissed
Legal Topics
Fair Procedures, Natural Justice, Public Vs Private Hearings, Separation of Functions, Ultra Vires, Professional Misconduct
Administrative Law Medical Law Constitutional Law Fair Procedures Natural Justice Public Vs Private Hearings Separation of Functions Ultra Vires +1 more

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Downloadable case file Legal principles 4 Authorities cited 9 Party arguments 2
Sign in to unlock

Parties

Dr Barry

Applicant

Medical Council and Fitness to Practise Committee of the Medical Council

Respondent

Procedural Posture

Judicial Review / High Court Judgment on Application to Quash Fitness to Practise Committee Decision

  1. 1 Whether the Fitness to Practise Committee was required to hold its inquiry in public at the applicant's request
  2. 2 Whether the Committee's procedures breached constitutional fair procedures due to lack of separation between prosecutor and adjudicator

Ratio Decidendi

The Committee had statutory discretion to hold the inquiry in private or public. Exercising this discretion to hold the inquiry in private, given the sensitive nature of the allegations and the need to protect complainants' privacy, did not breach constitutional fair procedures or international norms. The statutory scheme provided adequate separation of functions and fair procedures, and no objective unfairness or bias was established.

Court Disposition

Application dismissed

Orders

  • Refusal to quash the Committee's decision to hold the inquiry in private
  • No order for certiorari