[2007] KEHC 1884 (KLR)

[2007] KEHC 1884 (KLR)

The court found that the plaintiffs were entitled to interlocutory relief because the defendant, by instituting a separate recovery suit (HCCC No.194 of 2003) while also seeking to exercise its statutory power of sale, created a new factual situation not contemplated in the earlier compromise. The court held that...

Source-derived case information.

Citation
[2007] KEHC 1884 (KLR)
Parties
Plaintiff: A Touch of Velvet Ltd.; Plaintiff: Henry Hillary Njoroge; Plaintiff: Karen Wanjiru Njoroge; Plaintiff: Licorne Pharmaceauticals Ltd.; Defendant: National Bank of Kenya
Court
High Court
Court Station
High Court at Nairobi (Milimani Commercial Courts)
Jurisdiction
Kenya
Case Number
? 647 of 2001
Procedural Posture
Civil Case / Ruling on Interlocutory Injunction Application
Outcome
Plaintiffs' application for interlocutory injunction allowed.
Legal Topics
Interlocutory Injunctions, Statutory Power of Sale, Mortgage Enforcement, Lis Pendens, Consent Orders, Guarantee Variation
Source Language
en
Civil Procedure Banking and Finance Land and Property Interlocutory Injunctions Statutory Power of Sale Mortgage Enforcement Lis Pendens Consent Orders +1 more

Source-derived case record

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Parties

A Touch of Velvet Ltd.

Plaintiff

Henry Hillary Njoroge

Plaintiff

Karen Wanjiru Njoroge

Plaintiff

Licorne Pharmaceauticals Ltd.

Plaintiff

National Bank of Kenya

Defendant

Procedural Posture

Civil Case / Ruling on Interlocutory Injunction Application

  1. 1 Whether the defendant should be restrained by injunction from selling, leasing, or otherwise dealing with LR No.7565/2 Red Hill, Kiambu District pending determination of the suit.
  2. 2 Whether the defendant's filing of HCCC No.194 of 2003 precludes it from exercising its statutory power of sale.
  3. 3 Whether the compromise recorded in HCCC No. 647 of 2001 precludes the plaintiffs from seeking interlocutory relief.

Ratio Decidendi

The court found that the plaintiffs were entitled to interlocutory relief because the defendant, by instituting a separate recovery suit (HCCC No.194 of 2003) while also seeking to exercise its statutory power of sale, created a new factual situation not contemplated in the earlier compromise. The court held that Section 52 of the Indian Transfer of Property Act applied, as the subject property was directly in issue in the pending suit, and the defendant had not sought court authority to realize its securities. The plaintiffs demonstrated a prima facie case and risk of double jeopardy, especially as the defendant had sold other securities without accounting for the proceeds. The...

Court Disposition

Plaintiffs' application for interlocutory injunction allowed.

Orders

  • An injunction is issued restraining the defendant from advertising for sale, selling by public auction or private treaty, leasing, possessing, occupying or otherwise dealing with LR No.7565/2 Red Hill, Kiambu District pending hearing and final determination of the suit.
  • Plaintiffs to file separate undertakings under oath as to damages within 7 days.