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TONY LITHUR V. NANA OYE LITHUR

Case

Jurisdiction

SUPREME COURT

Judge

CORAM: DOTSE, JSC (PRESIDING) PWAMANG, JSC DORDZIE (MRS.), JSC PROF. MENSA-BONSU (MRS.), JSC KULENDI, JSC

Catalog Type

Case

Judgement Date

Apr 21, 2021

Summary

The case concerned an appeal arising from interlocutory proceedings in a pending matrimonial cause. The Appellant, in the course of divorce proceedings, applied to the High Court for interim relief pending the determination of the substantive petition. She sought, among other reliefs, an order ejecting the Respondent from the matrimonial home and restraining him from entering or going near the home or her. The High Court granted some of the interim reliefs. The Respondent appealed, and the Court of Appeal allowed the appeal, effectively setting aside the interim orders. The Appellant further appealed, contending that the decision of the Court of Appeal deprived her of her constitutional right to marital property. The Respondent argued that the High Court’s orders were merely declaratory and not executable. A central issue before the Supreme Court was whether the Court of Appeal acted properly in entertaining a repeat application for stay of execution and permitting the Respondent to introduce new facts through a supplementary affidavit. The Supreme Court held that: -The Court of Appeal possesses a separate, distinct, and independent jurisdiction when considering repeat applications for stay of execution. -It is not bound by the decision of the trial court in such applications. -The Court of Appeal may consider new matters and fresh evidence not placed before the trial court when determining a repeat application. -The admission of a supplementary affidavit introducing new facts was therefore not improper. Accordingly, the Supreme Court dismissed the appeal challenging the decision of the Court of Appeal. However, in light of the evident hostility between the parties and the need to preserve the subject matter of the litigation, the Supreme Court restrained the Respondent from taking steps to alienate the property in dispute pending the final determination of the substantive matrimonial cause. The decision affirmed the autonomous jurisdiction of the Court of Appeal in interlocutory and repeat applications, while underscoring the importance of preserving disputed matrimonial property until final resolution.

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