Doe v Bennett

http://dbpedia.org/resource/Doe_v_Bennett an entity of type: Noble

Untel c. Bennet est un arrêt de principe de la Cour suprême du Canada rendu en 2004 concernant la responsabilité délictuelle en common law d'un diocèse pour des agressions sexuelles commises par un prêtre. rdf:langString
Doe v Bennett, 2004 SCC 17 is a legal ruling by the Supreme Court of Canada which upheld the lower court's decision that the ecclesiastical corporation, Roman Catholic Episcopal Corporation of St. George's in Western Newfoundland, was vicariously liable (as well as directly liable) for sexual abuse by Father Kevin Bennett. The Court declined to address the "difficult question of whether the Roman Catholic Church can be held liable in a case such as this." rdf:langString
rdf:langString Doe v Bennett
rdf:langString Untel c. Bennett
xsd:integer 25049129
xsd:integer 1057658690
rdf:langString Beverley McLachlin C.J.
xsd:integer 29426
rdf:langString Bazley v Curry, [1999] 2 SCR 534; Jacobi v Griffiths, [1999] 2 SCR 570; KLB v British Columbia, 2003 SCC 51, [2003] 2 SCR 403
xsd:integer 2004
rdf:langString Doe v Bennett, 2004 SCC 17 is a legal ruling by the Supreme Court of Canada which upheld the lower court's decision that the ecclesiastical corporation, Roman Catholic Episcopal Corporation of St. George's in Western Newfoundland, was vicariously liable (as well as directly liable) for sexual abuse by Father Kevin Bennett. The Court concluded that the ecclesiastical corporation's secondary responsibility originates from the power and authority over parishioners that the Church gave to its priests. The facts satisfied the close connection test: "the evidence overwhelmingly satisfies the tests affirmed in Bazley, Jacobi and KLB The relationship between the diocesan enterprise and Bennett was sufficiently close." It asserted that: The relationship between the bishop and a priest in a diocese is not only spiritual, but temporal. The priest takes a vow of obedience to the bishop. The bishop exercises extensive control over the priest, including the power of assignment, the power to remove the priest from his post and the power to discipline him. It is akin to an employment relationship. ... The relationship between the bishop and the priest is sufficiently close. Applying the relevant test to the facts, it is also clear that the necessary connection between the employer-created or enhanced risk and the wrong complained of is established. ... First, the bishop provided Bennett with the opportunity to abuse his power. ... Second, Bennett’s wrongful acts were strongly related to the psychological intimacy inherent in his role as priest. ... Third, the bishop conferred an enormous degree of power on Bennett relative to his victims. The Court declined to address the "difficult question of whether the Roman Catholic Church can be held liable in a case such as this."
rdf:langString Untel c. Bennet est un arrêt de principe de la Cour suprême du Canada rendu en 2004 concernant la responsabilité délictuelle en common law d'un diocèse pour des agressions sexuelles commises par un prêtre.
rdf:langString Doe v Bennett
xsd:date 2004-03-25
xsd:date 2004-01-14
rdf:langString The Roman Catholic Episcopal Corporation of St. George's is directly and vicariously liable for sexual abuse by Bennett, a priest in its diocese. The court declines to address the question of whether the Roman Catholic Church can be held liable.
xsd:integer 2003
xsd:nonNegativeInteger 3700

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