Matches in DBpedia 2016-04 for { ?s ?p "BG Checo International Ltd v British Columbia Hydro and Power Authority, [1993] 1 S.C.R. 12 is a leading decision by the Supreme Court of Canada. The Court held that there is a prima facie presumption that a claimant is able to sue concurrently in tort and contract where sufficient grounds exist. Still, liability in tort will still be subject to an exemptions or conditions set out in a contract."@en }
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- BG_Checo_International_Ltd_v_British_Columbia_Hydro_and_Power_Authority abstract "BG Checo International Ltd v British Columbia Hydro and Power Authority, [1993] 1 S.C.R. 12 is a leading decision by the Supreme Court of Canada. The Court held that there is a prima facie presumption that a claimant is able to sue concurrently in tort and contract where sufficient grounds exist. Still, liability in tort will still be subject to an exemptions or conditions set out in a contract.".
- Q4835570 abstract "BG Checo International Ltd v British Columbia Hydro and Power Authority, [1993] 1 S.C.R. 12 is a leading decision by the Supreme Court of Canada. The Court held that there is a prima facie presumption that a claimant is able to sue concurrently in tort and contract where sufficient grounds exist. Still, liability in tort will still be subject to an exemptions or conditions set out in a contract.".
- BG_Checo_International_Ltd_v_British_Columbia_Hydro_and_Power_Authority comment "BG Checo International Ltd v British Columbia Hydro and Power Authority, [1993] 1 S.C.R. 12 is a leading decision by the Supreme Court of Canada. The Court held that there is a prima facie presumption that a claimant is able to sue concurrently in tort and contract where sufficient grounds exist. Still, liability in tort will still be subject to an exemptions or conditions set out in a contract.".
- Q4835570 comment "BG Checo International Ltd v British Columbia Hydro and Power Authority, [1993] 1 S.C.R. 12 is a leading decision by the Supreme Court of Canada. The Court held that there is a prima facie presumption that a claimant is able to sue concurrently in tort and contract where sufficient grounds exist. Still, liability in tort will still be subject to an exemptions or conditions set out in a contract.".