Wild v Legal Practice Council and Others [2023] ZAGPPHC 297; 31130/2019 (24 April 2023)

Wild v Legal Practice Council and Others [2023] ZAGPPHC 297; 31130/2019 (24 April 2023)

The Court held that the Legal Practice Council's advisory note did not constitute administrative action under PAJA, as it did not adversely affect the applicant's rights nor have a direct, external legal effect. The advisory note merely preserved the status quo regarding pending disciplinary procedures and did not...

Source-derived case information.

Citation
[2023] ZAGPPHC 297
Parties
Applicant: Jennifer Emily Hutchinson Wild; Respondent: Legal Practice Council; Respondent: Eastern Cape Society of Advocates; Respondent: Bisho Society of Advocates; Respondent: General Council of the Bar of South Africa
Court
North Gauteng High Court, Pretoria
Jurisdiction
South Africa
Case Number
31130/2019
Procedural Posture
Review Application / First Instance, Full Court
Outcome
Application dismissed. Applicant to pay 50% of the costs, including 50% of the costs of two counsel where so employed.
Judges
D S Fourie, N Bam, M Mojapelo
Legal Topics
Promotion of Administrative Justice Act, Legal Practitioners Regulation, Standing of Professional Bodies, Disciplinary Proceedings, Interpretation of Statutes
Administrative Law Civil Procedure Promotion of Administrative Justice Act Legal Practitioners Regulation Standing of Professional Bodies Disciplinary Proceedings Interpretation of Statutes

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Downloadable case file Legal principles 5 Authorities cited 20 Party arguments 2
Sign in to unlock

Parties

Jennifer Emily Hutchinson Wild

Applicant

Legal Practice Council

Respondent

Eastern Cape Society of Advocates

Respondent

Bisho Society of Advocates

Respondent

General Council of the Bar of South Africa

Respondent

Procedural Posture

Review Application / First Instance, Full Court

  1. 1 Whether the Legal Practice Council's advisory note constitutes a reviewable administrative action under PAJA.
  2. 2 Whether the Legal Practice Act 28 of 2014 altered the common law standing and powers of the General Council of the Bar and constituent Bars to investigate and bring disciplinary proceedings against advocates.
  3. 3 Whether the Legal Practice Council is the exclusive body entitled to regulate disciplinary proceedings and enforce the code of conduct for advocates.

Ratio Decidendi

The Court held that the Legal Practice Council's advisory note did not constitute administrative action under PAJA, as it did not adversely affect the applicant's rights nor have a direct, external legal effect. The advisory note merely preserved the status quo regarding pending disciplinary procedures and did not introduce new procedures or alter the applicant's position. The Legal Practice Act did not abolish the common law standing of the Bars and the General Council of the Bar to investigate unprofessional conduct and bring disciplinary applications; the High Court's inherent jurisdiction and the Bars' standing remain intact. Section 44 of the LPA explicitly preserves the High Court's...

Court Disposition

Application dismissed. Applicant to pay 50% of the costs, including 50% of the costs of two counsel where so employed.

Orders

  • The application is dismissed.
  • The applicant must pay 50% of the costs, including 50% of the costs of two counsel where so employed.