DRASKOVICH v GOODFELLOW [2016] NZHC 496

DRASKOVICH v GOODFELLOW [2016] NZHC 496

Court held that Explore's appropriation and ADWS's payment of substantial r&m, marketing and management fees during the period in dispute was oppressive because fees were appropriated without prior consultation, calculated without adequate contemporaneous records and produced an unjust detriment to the Plaintiffs;...

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Citation
[2016] NZHC 496
Parties
Plaintiff: Mark Stephen Draskovich; Plaintiff: Q.T.L. Trustees (No. 22) Limited; First Defendant: William Goodfellow; Second Defendant: Explore Group Limited; Third Defendant: Auckland Dolphin and Whale Safari (2005) Limited
Court
High Court
Jurisdiction
New Zealand
Judgment Date
22 March 2016
Procedural Posture
Companies Act 1993 S 174 Oppression/unfairly Prejudicial Shareholder Claim / Interim Judgment (judgment Delivered After Trial)
Outcome
Partial success for plaintiffs; found fees appropriation oppressive; netting off in 2012 not oppressive; declaratory constructive trust claim dismissed; primary relief was appointment of independent accountant to quantify amounts and interest; costs reserved.
Legal Topics
Oppressive Conduct Under S 174, Related Party Transactions, Allocation of Overheads and Management Fees, Netting Off/repayment of Shareholder Loans, Constructive Trust Claim, Approval of Financial Statements, Appointment of Independent Accountant, Interest on Shareholder Loans
Company Law Equity and Trusts Directors' Duties Shareholder Disputes Accounting and Forensic Accounting Oppressive Conduct Under S 174 Related Party Transactions Allocation of Overheads and Management Fees +5 more

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Parties

Mark Stephen Draskovich

Plaintiff

Q.T.L. Trustees (No. 22) Limited

Plaintiff

William Goodfellow

First Defendant

Explore Group Limited

Second Defendant

Auckland Dolphin and Whale Safari (2005) Limited

Third Defendant

Procedural Posture

Companies Act 1993 S 174 Oppression/unfairly Prejudicial Shareholder Claim / Interim Judgment (judgment Delivered After Trial)

  1. 1 Whether Explore's appropriation of ADWS revenue by charging r&m, marketing and management fees during the period in dispute constituted oppressive conduct under s 174
  2. 2 Whether the 2012 'netting off' transaction that resulted in repayment to Explore was oppressive or in breach of the shareholders agreement
  3. 3 Whether Explore must account for unpaid interest on its operating loan and whether ADWS treated interest on shareholders' loans consistently and oppressively

Ratio Decidendi

Court held that Explore's appropriation and ADWS's payment of substantial r&m, marketing and management fees during the period in dispute was oppressive because fees were appropriated without prior consultation, calculated without adequate contemporaneous records and produced an unjust detriment to the Plaintiffs; however the 2012 netting off was approved by the directors via the 2012 financial statements and was not oppressive; constructive trust declaration was declined; primary remedy ordered was appointment of an independent chartered accountant to quantify fair fees and interest due and to advise on accounting of commissions and equality of treatment; costs reserved.

Court Disposition

Partial success for plaintiffs; found fees appropriation oppressive; netting off in 2012 not oppressive; declaratory constructive trust claim dismissed; primary relief was appointment of independent accountant to quantify amounts and interest; costs reserved.

Orders

  • Appoint an independent chartered accountant to determine (i) the fair sums payable by ADWS as repair and maintenance, marketing and management fees for the period in dispute (y/e 30 Sept 2011 to 27 Apr 2014); (ii) the sum due from Explore to ADWS by way of interest at 9.5% p.a. on Explore's operating loan; (iii)...
  • Each party to co-operate with the appointee and provide information requested; parties to assist in appointment and terms of reference