From: Phillip Morgan <phillip.morgan@york.ac.uk>
To: Neil Foster <neil.foster@newcastle.edu.au>
CC: obligations@uwo.ca
Date: 24/10/2013 15:38:05 UTC
Subject: Re: [Spam?] ODG: NDD in the UKSC

Dear Neil,

Thank you for this. 

This would appear to be a potentially significant expansion to the remit of non-delegable duties.  Particularly since the duty in Woodland does not seem to be derived from a detailed construction of the relevant legislative provisions. 

For instance, Lord Sumption’s five ‘principles’, (at [23]), seem to pave the way for a non-delegable duty for local authorities towards children in care (Cf the SCC in KLB and MB).  This is relevant to foster carer torts – where the English courts have not yet accepted the existence of vicarious liability between carer and local authority.  If one is to believe the UK media more such test cases are being brought. 

At Para 23 Lord Sumption stated:

“(5) The third party has been negligent not in some collateral respect but in the performance of the very function assumed by the defendant and delegated by the defendant to him.”

He appears to have avoided the issue of intentional torts here, which at least within the educational and care context are also significant.  Surely the same principle would apply here as well?

Kind regards,

Phillip



On 23 October 2013 13:15, Neil Foster <neil.foster@newcastle.edu.au> wrote:
Dear Colleagues;
The UKSC has now handed down its decision on non-delegable duty owed by schools, in Woodland v Essex County Council [2013] UKSC 66 (23 October 2013)  http://www.bailii.org/uk/cases/UKSC/2013/66.html . I am very pleased to say that the Court as a whole all held that schools do indeed owe a non-delegable duty of care to pupils, and hence that in the Woodland case the matter needed to be sent for trial on the basis that the local authority running the school might be held liable for negligence by the contracted swimming instructors whose carelessness may have given rise to Miss Woodland's injuries. Lord Sumption sets out a set of five criteria which he thinks should be applied to determine if an NDD is owed at para [25], which as far as I can recall look pretty similar to the criteria suggested by list member John Murphy a few years ago. Lady Hale, in an essentially concurring judgment (I am still not quite sure why her Ladyship felt it necessary to deliver a separate judgment; if anyone notices a difference between her and Lord Sumption let me know!) specifically cites list member Christine Beuermann at [33] (and the TLJ!).
Lord Sumption refers in detail to High Court of Australia decisions on the point and agrees that the approach taken in Introvigne and Kondis is generally correct. My only mild qualm about the judgment is that his Lordship suggests at [21] that in Lepore "by a majority of 4-3 (Gaudron, McHugh, Gummow and Hayne JJ) the Court held that the schools owed a non-delegable duty". I concede that Lepore is such a complex and confusing decision that I may have missed it, but I don't think Gummow and Hayne JJ really supported a non-delegable duty in the context of the intentional tort of sexual assault being considered in that case. But this, even if I am right, is a minor blemish in what I consider to be a very good ruling.
Colleagues may not have realised (I hadn't until a few weeks ago) that the UKSC has now taken to giving a "5 minute" video summary of their decisions which is available on Youtube. Those who are interested to see and hear Lord Sumption summarise the decision can do so at http://www.youtube.com/watch?v=J_Cu49Lht8w&feature=c4-overview&list=UUdkf93h71xVAl28v467Hk7w .
Regards
Neil



Neil Foster
Associate Professor
Newcastle Law School
Faculty of Business and Law

T: +61 2 49217430
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_______________________

 
 
Phillip Morgan,
 
Lecturer in Law,
 
York Law School,
The University of York,
Freboys Lane,
York,
YO10 5GD,
United  Kingdom,
 
https://www.york.ac.uk/law/staff/morgan/
https://www.york.ac.uk/law/