TAYLOR v THE CHIEF EXECUTIVE OF THE DEPARTMENT OF CORRECTIONS [2015] NZHC 2196

TAYLOR v THE CHIEF EXECUTIVE OF THE DEPARTMENT OF CORRECTIONS [2015] NZHC 2196

The change from 'Good' to 'Poor' on item A.5.5 and the consequent override were unlawful because the change was not supported by the materials the policy requires, the override improperly relied on the prisoner's refusal to transfer (an irrelevant consideration in the circumstances), and the prisoner was denied...

Source-derived case information.

Citation
[2015] NZHC 2196
Parties
Applicant: Arthur William Taylor; Respondent: The Chief Executive of the Department of Corrections
Court
High Court
Jurisdiction
New Zealand
Judgment Date
11 September 2015
Procedural Posture
Judicial Review / Judgment
Outcome
Court found reviewable error in the reconsideration decision; reconsideration decision not upheld as lawful in its entirety; directed further proceedings to determine remedies and STURP participation
Legal Topics
Security Classification, Natural Justice, Legitimate Expectation, Procedural Fairness, Parole, Overrides
Administrative Law Corrections Law Prison Law Judicial Review Security Classification Natural Justice Legitimate Expectation Procedural Fairness +2 more

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Parties

Arthur William Taylor

Applicant

The Chief Executive of the Department of Corrections

Respondent

Procedural Posture

Judicial Review / Judgment

  1. 1 Whether change from 'Good' to 'Poor' on A.5.5 was arbitrary and breached published policy/legitimate expectation
  2. 2 Whether the override of the points-based classification was based on an irrelevant consideration (refusal to transfer to Bravo Unit)
  3. 3 Whether the override was for an improper purpose (to compel transfer)

Ratio Decidendi

The change from 'Good' to 'Poor' on item A.5.5 and the consequent override were unlawful because the change was not supported by the materials the policy requires, the override improperly relied on the prisoner's refusal to transfer (an irrelevant consideration in the circumstances), and the prisoner was denied procedural fairness when the reconsideration rested on new grounds without opportunity to respond; the reconsideration decision therefore contained reviewable error and further remedy proceedings were ordered.

Court Disposition

Court found reviewable error in the reconsideration decision; reconsideration decision not upheld as lawful in its entirety; directed further proceedings to determine remedies and STURP participation

Orders

  • Registry to arrange a telephone conference between the parties and the Judge to determine scope and timetable for a further hearing
  • A further hearing to be convened to consider remedies and Mr Taylor's participation in the STURP and any necessary further evidence