Tobacco Association of Zambia v Kayanje Farming Limited & Others (Appeal 71 of 2010) [2018] ZMSC 330 (31 August 2018)

Tobacco Association of Zambia v Kayanje Farming Limited & Others (Appeal 71 of 2010) [2018] ZMSC 330 (31 August 2018)

The Supreme Court found that the trial court's findings of fact regarding exclusion from the auction, undervaluation, missing bales, and non-disclosure were not supported by the evidence on record and were contradicted by the 1st respondent's own statements. The appellant's role, as defined by the auction rules, did...

Source-derived case information.

Citation
[2018] ZMSC 330
Parties
Appellant: Tobacco Association of Zambia; 1st Respondent: Kayanje Farming Limited; 2nd Respondent: Rintoul Limited T/A Tobacco Leaf Brokers Limited; 3rd Respondent: Stancom Tobacco Services Limited T/A Alliance One International
Court
Supreme Court of Zambia
Jurisdiction
Zambia
Case Number
Appeal 71 of 2010
Procedural Posture
Civil Appeal / Judgment on Appeal
Outcome
appeal allowed
Legal Topics
Negligence, Duty of Care, Breach of Contract, Auction Sales, Grading of Goods
Source Language
en
Tort Law Contract Law Negligence Duty of Care Breach of Contract Auction Sales Grading of Goods

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Parties

Tobacco Association of Zambia

Appellant

Kayanje Farming Limited

1st Respondent

Rintoul Limited T/A Tobacco Leaf Brokers Limited

2nd Respondent

Stancom Tobacco Services Limited T/A Alliance One International

3rd Respondent

Procedural Posture

Civil Appeal / Judgment on Appeal

  1. 1 Whether the appellant owed and breached a duty of care to the 1st respondent in the conduct of the tobacco auction sale
  2. 2 Whether the findings of fact by the trial court regarding exclusion from the auction, undervaluation, missing bales, and non-disclosure were supported by evidence
  3. 3 Whether the appellant was liable in negligence for the loss suffered by the 1st respondent

Ratio Decidendi

The Supreme Court found that the trial court's findings of fact regarding exclusion from the auction, undervaluation, missing bales, and non-disclosure were not supported by the evidence on record and were contradicted by the 1st respondent's own statements. The appellant's role, as defined by the auction rules, did not extend to final grading authority, and there was no evidence that the Grower's Representative failed in his duties. The doctrine of res ipsa loquitur was inapplicable as multiple inferences could be drawn from the facts. Consequently, the appellant did not breach any duty of care owed to the 1st respondent, and the action in negligence failed.

Court Disposition

appeal allowed

Orders

  • Judgment against the appellant set aside
  • Appellant to recover costs from the 1st respondent, both in the Supreme Court and the court below