[2015] KEHC 8465 (KLR)

[2015] KEHC 8465 (KLR)

The court found that the petition was fatally deficient as it failed to cite with reasonable precision the specific constitutional provisions allegedly violated and did not demonstrate how the petitioner's rights were infringed. The petition merely listed several constitutional articles in its title without...

Source-derived case information.

Citation
[2015] KEHC 8465 (KLR)
Parties
Applicant: Samson Otieno Bala t/a Missam Enterprises; Respondent: Kenya Bureau of Standards; Respondent: Joshua Nyabicha; Respondent: Robinson Shake; Respondent: Administration Police Commandant Homa Bay; Respondent: Director of Public Prosecutions
Court
High Court
Court Station
High Court at Homa Bay
Jurisdiction
Kenya
Case Number
Petition 4 of 2014
Procedural Posture
Constitutional Petition / Judgment
Outcome
petition struck out
Judges
DAS Majanja
Legal Topics
Right to Property, Pleading Precision, Enforcement of Fundamental Rights, Standards Act Compliance
Source Language
en
Constitutional Law Civil Procedure Right to Property Pleading Precision Enforcement of Fundamental Rights Standards Act Compliance

Source-derived case record

Summary, issues, holding and outcome

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Parties

Samson Otieno Bala t/a Missam Enterprises

Applicant

Kenya Bureau of Standards

Respondent

Joshua Nyabicha

Respondent

Robinson Shake

Respondent

Administration Police Commandant Homa Bay

Respondent

Director of Public Prosecutions

Respondent

Procedural Posture

Constitutional Petition / Judgment

  1. 1 Whether the petition sufficiently pleaded violation of constitutional rights with reasonable precision.
  2. 2 Whether the seizure of the petitioner's property by the respondents violated the petitioner's constitutional rights.

Ratio Decidendi

The court found that the petition was fatally deficient as it failed to cite with reasonable precision the specific constitutional provisions allegedly violated and did not demonstrate how the petitioner's rights were infringed. The petition merely listed several constitutional articles in its title without providing particulars or linking the facts to specific rights. The court reaffirmed the principle that constitutional petitions must meet the threshold of reasonable precision in pleading, as established in Anarita Karimi Njeru and reaffirmed in Mumo Matemu. As the petition did not meet this standard, it was held to be incompetent and was struck out.

Court Disposition

petition struck out

Orders

  • The petition is struck out with no order as to costs.