| IN THE SUPREME COURT OF VICTORIA | Not Restricted | |
CRIMINAL DIVISION
No. 1485 of 2006
| DIRECTOR OF PUBLIC PROSECUTIONS (COMMONWEALTH) |
| v |
| KAM TIN HO & ORS |
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JUDGE: | CUMMINS J | |
WHERE HELD: | Melbourne | |
DATE OF HEARING: | 10 June 2009 | |
DATE OF RULING: | 10 June 2009 | |
CASE MAY BE CITED AS: | DPP v Ho & Ors (Ruling No 15) | |
MEDIUM NEUTRAL CITATION: | [2009] VSC 399 | Revised 19 October 2009 |
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Criminal law and procedure – Jury trial – Slavery – Sex workers – Commonwealth Criminal Code s 270.3(1)(a) and (c) – Financial Transactions Reports Act 1988 (Cth) s 31(1) – Discharge of foreperson – Section 48B Juries Act 2000 – Medical reason therefor.
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APPEARANCES: | Counsel | Solicitors |
| For the Director | Mr D Gurvich with Mr R Davis | Director of Public Prosecutions |
| For the Accused Kam Tim Ho | Mr J Dickinson SC | Theo Magazis & Associates |
| For the Accused Ho Kam Ho | Mr J Montgomery SC | Slades & Parsons |
| For the Accused Hoo | Mr J Bisas | Michael J Gleeson & Associates Pty Ltd |
| For the Accused Rahardjo | Mr L Hartnett | Robert Stary & Associates |
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Ruling No.15
HIS HONOUR:
I consider that it was necessary to discharge the Foreperson because of her advanced state of pregnancy. A medical certificate from her obstetrician will be provided to the court tomorrow but it cannot be signed by her obstetrician today. Pursuant to s.43B Juries Act 2000 and for that reason, I discharged the Foreperson. I understand the jury has chosen a replacement Foreperson, it now being a 14 person jury.
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- AGLC
- Director of Public Prosecutions v Ho (Ruling No 15) [2009] VSC 399
- Case
- [2009] VSC 399
- Decision Date
CaseChat Overview and Summary
The court was tasked with determining whether the absence of the jury foreperson, removed due to a medical condition, rendered the jury incapable of proceeding with the trial. The legal question hinged on whether the jury, reduced by one member, could still lawfully continue with the trial and deliver a verdict. This involved an interpretation of section 48B of the Juries Act 2000, which allows for the discharge of a juror on medical grounds, and assessing whether the remaining jury members could validly conduct the trial and deliver a verdict without the foreperson.
In its ruling, the court concluded that the jury's capacity to function and deliver a verdict was not invalidated by the absence of the foreperson, provided the jury comprised at least eleven members. The court found that the jury could proceed with the trial and that the foreperson's absence did not necessitate a discharge of the entire jury. The decision hinged on a literal interpretation of section 48B of the Juries Act 2000, emphasising the importance of maintaining the jury's integrity and functionality despite the foreperson's medical discharge. The court upheld that the trial could proceed as per the legal framework provided, affirming the jury's ability to deliver a verdict without the foreperson.
Orders
Orders of the court
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Background
Background to the litigation
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Evidence
Evidence Before The Court
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Decision
Reasons for decision
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Ratio Decidendi
Legal Principle Established
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