DOUGLAS WILLIAM GIBBS v. PROCURATOR FISCAL, LINLITHGOW [1999] ScotHC 247 (4th December, 1999)
Section 11(2)(c) of the Sheriff Courts (Scotland) Act 1971 is sufficiently broad to permit the Secretary of State to appoint temporary sheriffs on long-term commissions, provided the appointments are made to avoid delay in the administration of justice and are not used to supplant permanent sheriffs as a matter of...
Source-derived case information.
- Citation
- [1999] ScotHC 247
- Parties
- Appellant: Douglas William Gibbs; Respondent: Procurator Fiscal, Linlithgow
- Jurisdiction
- Scotland
- Procedural Posture
- Note of Appeal to the Competency and Relevancy / Appeal
- Outcome
- Appeal refused
- Legal Topics
- Appointment of Temporary Sheriffs, Statutory Interpretation, Ultra Vires, Judicial Independence
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Summary, issues, holding and outcome
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Parties
Douglas William Gibbs
Appellant
Procurator Fiscal, Linlithgow
Respondent
Procedural Posture
Note of Appeal to the Competency and Relevancy / Appeal
Legal Issues
- 1 Whether the appointment of temporary sheriffs under section 11(2)(c) of the Sheriff Courts (Scotland) Act 1971 was ultra vires the Secretary of State
- 2 Whether the use of temporary sheriffs on long-term commissions is lawful under the Act
Ratio Decidendi
Section 11(2)(c) of the Sheriff Courts (Scotland) Act 1971 is sufficiently broad to permit the Secretary of State to appoint temporary sheriffs on long-term commissions, provided the appointments are made to avoid delay in the administration of justice and are not used to supplant permanent sheriffs as a matter of policy. The Secretary of State acted intra vires in the present case, as the system required justification for each use of a temporary sheriff and was not intended to replace permanent sheriffs.
Court Disposition
Appeal refused
Full Case Text
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