The decision in Marr v Collie represents a significant expansion of the common intention constructive trust doctrine. Unsupported by authority, it relaxes the requirement that the property be acquired for a ‘domestic’ purpose, and widens the doctrine to encompass all property, whether real or personal. The decision's abrogation of the ‘purpose’ restriction redraws the line between the common intention constructive trust doctrine and the presumed resulting trust doctrine and expands the former to the greatest possible extent. This exacerbates a doctrine already apt to adversely affect both individual litigants and the justice system as a whole, and which creates incongruous theoretical divisions within the law of intentionally created trusts...
This dissertation will focus on common intention constructive trusts in relation to shared ownership...
Abstract: Reviews the debate over the extent to which courts may override the parties' intentions in...
Plaintiff was induced to transfer his half interest in realty to his mother, because of her and his ...
It will be an all too obvious truth to readers of this journal that the law on implied trusts as it ...
Repeated comments are made as to the similarity between the common intention constructive trust and ...
Section 53 (1) (b) of the Law of Property Act (LPA) 1925 requires a settlor’s intention to be evide...
'Constructive trust' is an opaque label. It obscures important differences between the various situa...
This article discusses the reasoning of the High Court and Court of Appeal in Harvey v Beveridge in ...
The article discusses whether a joint owner of a family home who seeks to rebut the presumption of e...
This article discusses the Court of Appeal judgment in Pankhania v Chandegra on whether an express d...
This paper considers critically the current state of the law on constructive trusts arising in the c...
To what extent, following the decisions in Stack v Dowden and Abbott v Abbott, may a claimant acquir...
The doctrine of estates is the common law system for the classification of divided ownership. Its ...
One of the unresolved issues concerning equity’s jurisdiction to set aside dispositions for mistake ...
From the 1970s onward there have been numerous attempts to persuade the courts of New Zealand that u...
This dissertation will focus on common intention constructive trusts in relation to shared ownership...
Abstract: Reviews the debate over the extent to which courts may override the parties' intentions in...
Plaintiff was induced to transfer his half interest in realty to his mother, because of her and his ...
It will be an all too obvious truth to readers of this journal that the law on implied trusts as it ...
Repeated comments are made as to the similarity between the common intention constructive trust and ...
Section 53 (1) (b) of the Law of Property Act (LPA) 1925 requires a settlor’s intention to be evide...
'Constructive trust' is an opaque label. It obscures important differences between the various situa...
This article discusses the reasoning of the High Court and Court of Appeal in Harvey v Beveridge in ...
The article discusses whether a joint owner of a family home who seeks to rebut the presumption of e...
This article discusses the Court of Appeal judgment in Pankhania v Chandegra on whether an express d...
This paper considers critically the current state of the law on constructive trusts arising in the c...
To what extent, following the decisions in Stack v Dowden and Abbott v Abbott, may a claimant acquir...
The doctrine of estates is the common law system for the classification of divided ownership. Its ...
One of the unresolved issues concerning equity’s jurisdiction to set aside dispositions for mistake ...
From the 1970s onward there have been numerous attempts to persuade the courts of New Zealand that u...
This dissertation will focus on common intention constructive trusts in relation to shared ownership...
Abstract: Reviews the debate over the extent to which courts may override the parties' intentions in...
Plaintiff was induced to transfer his half interest in realty to his mother, because of her and his ...