Reinforcing the Primor Test: Striking Out Actions Due to Delay in Kernan & Anor v Sweeney & Anor (2024) IEHC 225
Introduction
Kernan & Anor v Sweeney & Anor (2024) IEHC 225 is a landmark judgment delivered by Mr Justice Barr in the High Court of Ireland on April 19, 2024. The case revolves around the plaintiffs, Barry Kernan and Rosaleen Kernan, who alleged fraudulent misrepresentations and conduct by the first defendant, Paul Sweeney, an agent of the second defendant, Bank of Ireland Group PLC. The plaintiffs claimed substantial financial losses exceeding €2 million due to these fraudulent investments, which led to their inability to repay a mortgage, resulting in a judgment debt and ongoing possession proceedings against their family home.
Central to the litigation was the second defendant's application to strike out the plaintiffs' action on grounds of inordinate delay and lack of prosecution. The case delved deeply into the application of the Primor test for determining whether to dismiss a case due to delay, incorporating recent appellate insights and setting significant precedents for future civil proceedings.
Summary of the Judgment
The High Court meticulously assessed the second defendant's application to strike out the plaintiffs' action based on the criteria established in the Primor test. Mr Justice Barr acknowledged that while the plaintiffs discovered the alleged fraud in 2012, there was a substantial delay of nearly six years before initiating legal proceedings in 2018. Additionally, the plaintiffs exhibited a five-year delay in responding to a notice for particulars raised by the second defendant in 2018, only furnishing their replies in June 2023, long after the motion to strike out was filed.
The court found that the plaintiffs had failed to diligently prosecute their case, ignoring procedural opportunities to address the second defendant's notice for particulars. Despite the plaintiffs' financial distress and concurrent legal challenges, the court concluded that the delays were inordinate and inexcusable. Consequently, the balance of justice weighed in favor of striking out the plaintiffs' action against the second defendant, reinforcing the judiciary's stance against undue delays in litigation.
Analysis
Precedents Cited
The judgment extensively referenced foundational and recent case law to underpin the decision. Key among these were:
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