CHIEF EXECUTIVE OF THE DEPARTMENT OF INLAND REVENUE V BUCHANAN AND SYMES CA CA2/05

CHIEF EXECUTIVE OF THE DEPARTMENT OF INLAND REVENUE V BUCHANAN AND SYMES CA CA2/05

Ignorance of contractual or statutory obligations does not create a presumption that breaches cannot amount to serious misconduct; courts must apply the Oram test and evaluate whether a reasonable and fair employer could have dismissed. Disparity analysis requires three stages (establish disparity, ask whether an...

Source-derived case information.

Citation
openlaw-fab8b693_eb30_4afd_a81f_0cbf76088932.pdf
Parties
Appellant: Chief Executive of the Department of Inland Revenue; Respondents: Gillian Moana Buchanan and Lynette Catherine Symes
Court
Court of Appeal
Jurisdiction
New Zealand
Judgment Date
22 December 2005
Procedural Posture
Appeal Against Employment Court Judgment on Personal Grievances / Court of Appeal Determination on Leave and Substantive Appeal
Outcome
Leave granted on disparity points; appeal allowed; personal grievances dismissed; orders for reinstatement and prior costs awards quashed; appellant awarded costs in this Court of $6,000 plus usual disbursements payable jointly and severally by respondents
Legal Topics
Serious Misconduct, Disparity of Treatment, Disciplinary Procedures, Reinstatement, Confidentiality and Statutory Secrecy
Employment Law Administrative Law Tax Law Serious Misconduct Disparity of Treatment Disciplinary Procedures Reinstatement Confidentiality and Statutory Secrecy

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Legal principles 5 Authorities cited 12 Party arguments 2 Amounts and remedies 3
Sign in to unlock

Parties

Chief Executive of the Department of Inland Revenue

Appellant

Gillian Moana Buchanan and Lynette Catherine Symes

Respondents

Procedural Posture

Appeal Against Employment Court Judgment on Personal Grievances / Court of Appeal Determination on Leave and Substantive Appeal

  1. 1 Whether employee ignorance of significant employment obligations creates a presumption against serious misconduct
  2. 2 Whether the Employment Court applied the correct legal test for disparity of treatment
  3. 3 Whether subsequent disciplinary decisions can be considered in assessing disparity when part of a coordinated process

Ratio Decidendi

Ignorance of contractual or statutory obligations does not create a presumption that breaches cannot amount to serious misconduct; courts must apply the Oram test and evaluate whether a reasonable and fair employer could have dismissed. Disparity analysis requires three stages (establish disparity, ask whether an adequate explanation exists, and if not determine whether dismissal was nevertheless justified). Where disciplinary action is part of a coordinated, contemporaneous process subsequent cases may be taken into account. Applying those principles the Authority was entitled to find serious misconduct and, applying the full disparity test, the dismissals were nonetheless justified.

Court Disposition

Leave granted on disparity points; appeal allowed; personal grievances dismissed; orders for reinstatement and prior costs awards quashed; appellant awarded costs in this Court of $6,000 plus usual disbursements payable jointly and severally by respondents

Orders

  • Leave to appeal granted on legal test for disparity and on use of subsequent cases in disparity analysis
  • Appeal allowed; personal grievances dismissed