[2015] KEHC 6513 (KLR)

[2015] KEHC 6513 (KLR)

The court found that the Plaintiffs' claim of not being in arrears at the time of distress was not satisfactorily controverted by the Defendants. The court emphasized the principle that possession should not be disturbed without due process and that the purpose of a temporary injunction is to preserve the status...

Source-derived case information.

Citation
[2015] KEHC 6513 (KLR)
Parties
Plaintiff: George Njogu Wakibi; Plaintiff: Solomon Mungai Wakibi; Defendant: Tough Hide Ltd; Defendant: Little Vineyard Auctioneers
Court
High Court
Court Station
High Court at Nairobi (Milimani Law Courts)
Jurisdiction
Kenya
Case Number
Civil Case 388 of 2014
Procedural Posture
Civil Case / Ruling on Interlocutory Applications for Injunction and Stay of Execution
Outcome
Plaintiffs' application for injunction allowed on condition of prompt rent payment; Defendants' application for stay and setting aside ex-parte orders dismissed.
Judges
JK Sergon
Legal Topics
Injunctions, Distress for Rent, Protected Tenancy, Jurisdiction of Court, Status Quo Preservation
Source Language
en
Land and Property Civil Procedure Injunctions Distress for Rent Protected Tenancy Jurisdiction of Court Status Quo Preservation

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Parties

George Njogu Wakibi

Plaintiff

Solomon Mungai Wakibi

Plaintiff

Tough Hide Ltd

Defendant

Little Vineyard Auctioneers

Defendant

Procedural Posture

Civil Case / Ruling on Interlocutory Applications for Injunction and Stay of Execution

  1. 1 Whether the Plaintiffs are entitled to an injunction restraining the Defendants from distressing or interfering with their occupation of the suit premises.
  2. 2 Whether the ex-parte injunction orders previously granted should be set aside or stayed as sought by the Defendants.
  3. 3 Whether the High Court has jurisdiction to entertain the application given the existence of prior proceedings before the Business Premises Tribunal.

Ratio Decidendi

The court found that the Plaintiffs' claim of not being in arrears at the time of distress was not satisfactorily controverted by the Defendants. The court emphasized the principle that possession should not be disturbed without due process and that the purpose of a temporary injunction is to preserve the status quo. Given the lack of evidence from the Defendants to prove the Plaintiffs were in arrears and the need to prevent prejudice to the Plaintiffs, the court allowed the application for injunction on the condition that the Plaintiffs continue to pay rent promptly. The court did not find sufficient grounds to set aside the ex-parte injunction orders and maintained the interim...

Court Disposition

Plaintiffs' application for injunction allowed on condition of prompt rent payment; Defendants' application for stay and setting aside ex-parte orders dismissed.

Orders

  • An injunction is issued restraining the Defendants, their agents and/or servants from distressing or interfering with the Plaintiffs' quiet occupation and possession of Simla House, L.R. No. 209/664, Tom Mboya Street until the hearing and determination of the suit, provided the Plaintiffs continue paying rent promptly.