Supreme Court
New South Wales
Medium Neutral Citation: Hunter Quarries Pty Ltd v State of New South Wales (Department of Trade & Investment) (No 2) [2014] NSWSC 1663 Hearing dates: In chambers Decision date: 21 November 2014 Jurisdiction: Common Law Before: Schmidt J Decision: Paragraphs [67] and [68] amended.
Reference corrected at [4]
Catchwords: JUDGMENTS - power to vary - slip rule - Uniform Civil Procedure Rules 2005 r 36.16 and r 36.17 - no dispute between parties as to error - error has no impact on conclusions the conclusions reached - judgment corrected Cases Cited: Hunter Quarries Pty Ltd v State of New South Wales (Department of Trade & Investment) [2014] NSWSC 1580) Category: Procedural and other rulings Parties: Hunter Quarries Limited (Plaintiff)
State of New South Wales (Department of Trade & Investment (Defendant)Representation: Solicitors:
McDonald Johnson Lawyers (Plaintiff)
I V Knight
Crown Solicitor's Office (Defendant)
File Number(s): 2014/276078 Publication restriction: No
Judgment
I gave reasons for judgment on 12 November (see Hunter Quarries Pty Ltd v State of New South Wales (Department of Trade & Investment) [2014] NSWSC 1580). On 20 November 2014, the defendant drew to my attention a factual error at paragraphs [67] and [68] of the judgment, where I observed that the regulator's delegation did not include a delegation of the s 155 function to inspectors. There was no dispute between the parties as to that error, which I was asked to correct, in accordance with Rules 36.16 and 36.17 of the Uniform Civil Procedure Rules2005 (NSW) and the Court's inherent power to correct such an error. The error has no impact on the conclusions reached on the issues lying between the parties, who did not wish to be heard further on the issue.
I am satisfied that an error has occurred as the result of my misreading of two lines in the delegation and that the judgment must accordingly be corrected. There is no question as to the Court's power to make such a correction.
In the result the following paragraphs of the 12 November judgment will be altered:
[67] In this case, the actual delegations made by the regulator (relevantly defined in this case in s 3 to be the 'the head of the Department of Trade and Investment, Regional Infrastructure and Services') were provided without objection after the hearing. They did not include a delegation of the s 155 function to inspectors.
[68] It follows that as a matter of fact, Inspector Flowers did not have s 155 powers to exercise when exercising his power of entry at the quarry after Mr Messenger's death. That did not mean, however, that the investigative function which the Act gives inspectors and which may be exercised on notification of a notifiable incident, did not exist or were not then available to be exercised by Inspector Flowers.
Those paragraphs will be amended to read:
[67] In this case, the actual delegations made by the regulator (relevantly defined in this case in s 3 to be the 'the head of the Department of Trade and Investment, Regional Infrastructure and Services') were provided without objection after the hearing. They include a delegation of the s 155 function to inspectors.
[68] It follows that as a matter of fact, Inspector Flowers did have s 155 powers to exercise. That did not mean, however, that the investigative function which the Act gives inspectors and which may be exercised on entry after notification of a notifiable incident, did not exist or was not then available to be exercised by Inspector Flowers.
There is also an incorrect reference at paragraph [4] to s 39. That will be corrected to refer to s 38(2).
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- AGLC
- Hunter Quarries Pty Ltd v State of New South Wales (Department of Trade and Investment) (No 2) [2014] NSWSC 1663
- Case
- [2014] NSWSC 1663
- Decision Date
CaseChat Overview and Summary
The legal issues before the court revolved around the application of the Uniform Civil Procedure Rules 2005, specifically rules 36.16 and 36.17, which govern the power of the court to vary a judgment to correct errors. The plaintiff argued that the errors in the initial judgment, while not affecting the conclusions reached, needed rectification to maintain the integrity of the court's decision. The defendant did not contest the errors but argued that the court's discretion under the rules should be exercised judiciously.
The court considered the principles underpinning the correction of judicial errors, emphasising the importance of ensuring that judgments are accurate and reflect the correct legal position. The court noted that while the errors did not impact the conclusions reached, the maintenance of accurate records was fundamental to the administration of justice. The court concluded that the corrections were necessary and appropriate to avoid any potential confusion or misinterpretation of the judgment. Therefore, the court exercised its discretion under the rules to correct the errors in the judgment.
The court ordered that the errors in the judgment be corrected as set out in the plaintiff's application. The corrected judgment was to be issued to ensure that the record of the proceedings accurately reflected the court's decision. This decision underscores the importance of judicial accuracy and the court's commitment to upholding the integrity of its judgments.
Orders
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Background
Background to the litigation
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Evidence
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Decision
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