Franchi v Mohammed (HC 2468 of 2002; XREF HC 2468 of 2002) [2005] ZWBHC 17 (9 March 2005)

Franchi v Mohammed (HC 2468 of 2002; XREF HC 2468 of 2002) [2005] ZWBHC 17 (9 March 2005)

The application to compel further particulars was not procedurally proper as the applicant, having elected to file an exception and not set it down or plead over, failed to comply with the relevant rules and did not apply for condonation of the time limits.

Source-derived case information.

Citation
[2005] ZWBHC 17
Parties
Applicant: Carlo Franchi; Respondent: Dixon A Mohammed
Court
Bulawayo High Court
Jurisdiction
Zimbabwe
Case Number
HC 2468 of 2002 ; XREF HC 2468 of 2002
Procedural Posture
Opposed Application / Ruling on Application to Compel Further Particulars
Outcome
application dismissed
Legal Topics
Further Particulars, Exceptions, Pleadings, Court Discretion, Condonation
Source Language
en
Civil Procedure Further Particulars Exceptions Pleadings Court Discretion Condonation

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 3 Authorities cited 18 Party arguments 2 Amounts and remedies 1
Sign in to unlock

Parties

Carlo Franchi

Applicant

Dixon A Mohammed

Respondent

Procedural Posture

Opposed Application / Ruling on Application to Compel Further Particulars

  1. 1 Whether the application to compel further particulars was procedurally proper
  2. 2 Whether the particulars requested were necessary to enable the applicant to plead

Ratio Decidendi

The application to compel further particulars was not procedurally proper as the applicant, having elected to file an exception and not set it down or plead over, failed to comply with the relevant rules and did not apply for condonation of the time limits.

Court Disposition

application dismissed

Orders

  • The application is dismissed with costs on legal practitioner and client scale.