Mohapi v Mabathoana (C of A (CIV) 67 of 2018) [2019] LSCA 54 (1 November 2019)

Mohapi v Mabathoana (C of A (CIV) 67 of 2018) [2019] LSCA 54 (1 November 2019)

The sale and transfer of the property forming part of the joint estate without the written consent of the 1st respondent, as required by Section 7(3) of the Legal Capacity of Married Persons Act, 2006, was null and void ab initio. The appellant failed to make reasonable inquiries to verify spousal consent and was...

Source-derived case information.

Citation
[2019] LSCA 54
Parties
Appellant: Teboho Mohapi; 1st Respondent: Motšelisi Lucy Mabathoana; 2nd Respondent: Habofanoe Mabathoana
Court
Court of Appeal
Jurisdiction
Lesotho
Case Number
C of A (CIV) 67 of 2018
Procedural Posture
Civil Appeal / Judgment on Appeal
Outcome
Appeal dismissed
Legal Topics
Sale of Immovable Property, Consent in Community of Property, Statutory Requirements for Sale of Land, Restitutio in Integrum, Bona Fide Purchaser
Source Language
en
Land Law Family Law Sale of Immovable Property Consent in Community of Property Statutory Requirements for Sale of Land Restitutio in Integrum Bona Fide Purchaser

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 5 Authorities cited 13 Party arguments 2 Amounts and remedies 2
Sign in to unlock

Parties

Teboho Mohapi

Appellant

Motšelisi Lucy Mabathoana

1st Respondent

Habofanoe Mabathoana

2nd Respondent

Procedural Posture

Civil Appeal / Judgment on Appeal

  1. 1 Whether the sale and transfer of property forming part of a joint estate without spousal written consent is valid under the Legal Capacity of Married Persons Act, 2006
  2. 2 Whether the appellant was a bona fide purchaser entitled to statutory protection
  3. 3 Whether restitution in integrum is available where the contract is void for illegality

Ratio Decidendi

The sale and transfer of the property forming part of the joint estate without the written consent of the 1st respondent, as required by Section 7(3) of the Legal Capacity of Married Persons Act, 2006, was null and void ab initio. The appellant failed to make reasonable inquiries to verify spousal consent and was not entitled to the statutory protection for bona fide purchasers under Section 8(1)(a). Restitutio in integrum was not available as the contract was illegal.

Court Disposition

Appeal dismissed

Orders

  • Appeal dismissed
  • Costs to follow the event