[2013] KEHC 3853 (KLR)

[2013] KEHC 3853 (KLR)

The court found that there was a serious dispute as to who was in actual possession of the suit land, with both parties presenting conflicting affidavits and no independent evidence such as a valuation or surveyor's report. The court was unable to make a preliminary finding on possession at this interlocutory stage....

Source-derived case information.

Citation
[2013] KEHC 3853 (KLR)
Parties
Plaintiff: Jonathan Cheruiyot; Plaintiff: Samuel Sang Cheruiyot; Defendant: Esther Mishack
Court
High Court
Court Station
High Court at Eldoret
Jurisdiction
Kenya
Case Number
Environment & Land Case 814 of 2012
Procedural Posture
Injunction Application / Ruling on Interlocutory Injunction Pending Hearing of Suit
Outcome
Status quo to be maintained; application for injunction not specifically granted; costs in the cause.
Legal Topics
Adverse Possession, Interlocutory Injunctions, Possession Disputes
Source Language
en
Land and Property Civil Procedure Adverse Possession Interlocutory Injunctions Possession Disputes

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Parties

Jonathan Cheruiyot

Plaintiff

Samuel Sang Cheruiyot

Plaintiff

Esther Mishack

Defendant

Procedural Posture

Injunction Application / Ruling on Interlocutory Injunction Pending Hearing of Suit

  1. 1 Whether the plaintiffs have established a prima facie case for grant of a temporary injunction pending determination of the suit.
  2. 2 Whether the plaintiffs have demonstrated continuous and uninterrupted possession for over 12 years to support a claim of adverse possession.
  3. 3 Whether the balance of convenience and preservation of status quo warrant the grant or refusal of the injunction.

Ratio Decidendi

The court found that there was a serious dispute as to who was in actual possession of the suit land, with both parties presenting conflicting affidavits and no independent evidence such as a valuation or surveyor's report. The court was unable to make a preliminary finding on possession at this interlocutory stage. On the issue of limitation, the court clarified that time for adverse possession does not restart upon change of proprietorship, referencing Githu v Ndeete. Given the uncertainty and lack of clarity on possession, the court applied the balance of convenience principle, determining that the status quo should be maintained to preserve the subject matter of the suit until final...

Court Disposition

Status quo to be maintained; application for injunction not specifically granted; costs in the cause.

Orders

  • The status quo in respect of land parcel Nandi/Kamobo/510 shall be maintained pending the hearing and determination of the suit.
  • Costs of the application shall be costs in the cause.