[2015] KEHC 6869 (KLR)

[2015] KEHC 6869 (KLR)

The court found that the applicant failed to identify any specific statutory provision imposing a duty on the respondents to develop and implement National Guidelines for the Management of Gender Identity Disorders. Mandamus can only issue to compel the performance of a statutory duty, and in the absence of such a...

Source-derived case information.

Citation
[2015] KEHC 6869 (KLR)
Parties
Applicant: Republic; Respondent: Cabinet Secretary, Ministry of Health; Respondent: Kenya Medical Practitioners and Dentists Board; Respondent: Hon. Attorney General; Applicant: Transgender Education and Advocacy (suing through its officials Audrey Mbugua Ithibu, Maureen Muia, Annet Jennifer Thiaya)
Court
High Court
Court Station
High Court at Nairobi (Milimani Commercial Courts)
Jurisdiction
Kenya
Case Number
Miscellaneous Civil Application 263 of 2014
Procedural Posture
Miscellaneous Application / Judgment
Outcome
application dismissed
Judges
GV Odunga
Legal Topics
Judicial Review, Mandamus, Statutory Duties, Public Health Policy, Legitimate Expectation
Source Language
en
Administrative Law Civil Procedure Judicial Review Mandamus Statutory Duties Public Health Policy Legitimate Expectation

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Parties

Republic

Applicant

Cabinet Secretary, Ministry of Health

Respondent

Kenya Medical Practitioners and Dentists Board

Respondent

Hon. Attorney General

Respondent

Transgender Education and Advocacy (suing through its officials Audrey Mbugua Ithibu, Maureen Muia, Annet Jennifer Thiaya)

Applicant

Procedural Posture

Miscellaneous Application / Judgment

  1. 1 Whether the respondents have a statutory duty to develop and implement National Guidelines for the Management of Gender Identity Disorders.
  2. 2 Whether an order of mandamus can issue to compel the respondents to develop such guidelines in the absence of a specific statutory obligation.
  3. 3 Whether the application is premature given the ongoing process and pending legislation.

Ratio Decidendi

The court found that the applicant failed to identify any specific statutory provision imposing a duty on the respondents to develop and implement National Guidelines for the Management of Gender Identity Disorders. Mandamus can only issue to compel the performance of a statutory duty, and in the absence of such a duty, the court cannot compel the respondents to act. Furthermore, the process for developing the guidelines was ongoing, and the relevant parent statutes had not yet been enacted, making the application premature. The court held that granting the orders sought would serve no useful purpose and would amount to compelling the respondents to act without jurisdiction or in excess...

Court Disposition

application dismissed

Orders

  • The Notice of Motion dated 10th July, 2014 is dismissed with costs to the Respondents.