[2003] KEHC 178 (KLR)

[2003] KEHC 178 (KLR)

The court held that while it is advisable to plead particulars of negligence, the absence of such particulars is not fatal if the plaint otherwise puts the defendant on notice of the claim. In this case, the reference to the second defendant negligently opening fire was sufficient. On the facts, the court found that...

Source-derived case information.

Citation
[2003] KEHC 178 (KLR)
Parties
Plaintiff: Jane Martha W. Wachira and another; Defendant: The Attorney General and another
Court
High Court
Court Station
High Court at Nairobi (Milimani Law Courts)
Jurisdiction
Kenya
Case Number
Civil Case 2080 of 1997
Procedural Posture
Civil Case / Judgment
Outcome
Judgment for the plaintiffs; liability and general damages under the Fatal Accidents Act upheld; special damages and Law Reform Act claims disallowed.
Judges
PJ Ransley
Legal Topics
Negligence, Fatal Accidents, Pleadings Particulars, Police Liability
Source Language
en
Tort Law Negligence Fatal Accidents Pleadings Particulars Police Liability

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 2 Authorities cited 5 Party arguments 2
Sign in to unlock

Parties

Jane Martha W. Wachira and another

Plaintiff

The Attorney General and another

Defendant

Procedural Posture

Civil Case / Judgment

  1. 1 Whether the plaint sufficiently pleaded particulars of negligence to support the claim against the defendants.
  2. 2 Whether the police officer was negligent in shooting the deceased and thus liable in tort.
  3. 3 Whether the plaintiffs are entitled to damages under the Fatal Accidents Act and/or the Law Reform Act.

Ratio Decidendi

The court held that while it is advisable to plead particulars of negligence, the absence of such particulars is not fatal if the plaint otherwise puts the defendant on notice of the claim. In this case, the reference to the second defendant negligently opening fire was sufficient. On the facts, the court found that the deceased was an innocent man and that the police officer acted precipitately in shooting him, amounting to negligence. The court distinguished the present case from Marshall v Osmond, noting that the deceased was not involved in any unlawful act and was not a party to his own injury. The court maintained its previous finding of liability against the defendants and upheld...

Court Disposition

Judgment for the plaintiffs; liability and general damages under the Fatal Accidents Act upheld; special damages and Law Reform Act claims disallowed.

Orders

  • The previous judgment finding the defendants liable is maintained and adopted.
  • General damages awarded under the Fatal Accidents Act are upheld.