McGUIRE v WELLINGTON STANDARDS COMMITTEE (No 1) [2014] NZHC 3042

McGUIRE v WELLINGTON STANDARDS COMMITTEE (No 1) [2014] NZHC 3042

The delegation to the officer was valid because s184 permits written delegation to 'any other person' and the officer acted within the written delegation and committee directions; procedural defects (delay in service and early affidavit) were undesirable but did not justify dismissal; one original misconduct charge...

Source-derived case information.

Citation
[2014] NZHC 3042
Parties
Applicant: Jeremy James McGuire; First Respondent: Wellington Standards Committee (No 1); Second Respondent: The Lawyers and Conveyancers Disciplinary Tribunal
Court
High Court
Jurisdiction
New Zealand
Judgment Date
2 December 2014
Procedural Posture
Judicial Review of Disciplinary Proceedings / Judgment
Outcome
Application for judicial review granted in part; censure quashed; costs orders against applicant upheld
Legal Topics
Delegation and Statutory Powers, Natural Justice, Perceived Bias, Delay and Remedy, Costs, Censure and Sanctions, Legal Aid Statutory Limits (s66), Stay Under S161
Administrative Law Professional Discipline Legal Ethics Civil Procedure Delegation and Statutory Powers Natural Justice Perceived Bias Delay and Remedy +4 more

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Parties

Jeremy James McGuire

Applicant

Wellington Standards Committee (No 1)

First Respondent

The Lawyers and Conveyancers Disciplinary Tribunal

Second Respondent

Procedural Posture

Judicial Review of Disciplinary Proceedings / Judgment

  1. 1 Whether the delegation to an officer (Ms Rice) was valid and within s184
  2. 2 Alleged bias and perception of bias in Standards Committees' handling
  3. 3 Procedural irregularities including delayed service of charges and timing of affidavit

Ratio Decidendi

The delegation to the officer was valid because s184 permits written delegation to 'any other person' and the officer acted within the written delegation and committee directions; procedural defects (delay in service and early affidavit) were undesirable but did not justify dismissal; one original misconduct charge was wrongly framed but was not convicted on it; the applicant pleaded guilty to an amended charge and completed agreed supervision; the Tribunal's later imposition of censure was unreasonable and breached the legitimate expectation arising from the agreement because the supervision was satisfactory and the Tribunal had indicated approval of the supervisory resolution subject...

Court Disposition

Application for judicial review granted in part; censure quashed; costs orders against applicant upheld

Orders

  • Censure imposed by the Lawyers and Conveyancers Disciplinary Tribunal on 3 October 2013 quashed
  • Existing costs order in favour of Wellington Standards Committee (No 1) in the sum of $14,700 is confirmed and stands