T K v Mota Engil Engenharia Construcao Africa, SA (Personal Injury Cause No. 576 of 2017) [2021] MWHC 26 (20 February 2021)

T K v Mota Engil Engenharia Construcao Africa, SA (Personal Injury Cause No. 576 of 2017) [2021] MWHC 26 (20 February 2021)

The defendant breached its statutory and common law duty by failing to have an effective system for handling sexual harassment complaints, resulting in foreseeable psychiatric injury to the claimant. The absence of physical injury does not bar recovery for psychiatric harm in negligence. The claim for exemplary...

Source-derived case information.

Citation
[2021] MWHC 26
Parties
Claimant: T K; Defendant: Mota Engil Engenharia Construcao Africa, SA
Court
High Court of Malawi
Jurisdiction
Malawi
Case Number
Personal Injury Cause No. 576 of 2017
Procedural Posture
Personal Injury / Judgment After Trial
Outcome
Judgment for the claimant. Defendant found liable for negligence and breach of statutory duty. Claim for aggravated damages and costs succeeds; exemplary damages denied.
Legal Topics
Employer's Liability, Negligence, Sexual Harassment, Psychiatric Injury, Damages
Source Language
en
Employment Law Tort Law Employer's Liability Negligence Sexual Harassment Psychiatric Injury Damages

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 4 Authorities cited 10 Party arguments 2
Sign in to unlock

Parties

T K

Claimant

Mota Engil Engenharia Construcao Africa, SA

Defendant

Procedural Posture

Personal Injury / Judgment After Trial

  1. 1 Whether the defendant was negligent in failing to curb sexual harassment by its officer
  2. 2 Whether the claimant suffered actionable damage
  3. 3 Whether the claimant is entitled to aggravated and exemplary damages

Ratio Decidendi

The defendant breached its statutory and common law duty by failing to have an effective system for handling sexual harassment complaints, resulting in foreseeable psychiatric injury to the claimant. The absence of physical injury does not bar recovery for psychiatric harm in negligence. The claim for exemplary damages fails, but aggravated damages are warranted due to the prolonged suffering after initial reports.

Court Disposition

Judgment for the claimant. Defendant found liable for negligence and breach of statutory duty. Claim for aggravated damages and costs succeeds; exemplary damages denied.

Orders

  • Damages and costs to be assessed by the Registrar if not agreed within 14 days.