Re Baden’s Deed Trusts (no 2)
   HOME

TheInfoList



OR:

is an English trusts law case, concerning the circumstances under which a trust will be held to be uncertain. It followed on from ''
McPhail v Doulton , also known as ''Re Baden's Deed Trusts (No 1)'' is a leading English trusts law case by the House of Lords on the certainty of beneficiaries. It held that so long as any given claimant can clearly be determined to be a beneficiary, or not, a ...
'', where the House of Lords affirmed that upholding the settlor's intentions was of paramount importance. It dealt with the same facts as ''McPhail v Doulton,'' since the Lords had remanded the case to the Court of Appeal to be decided using the legal principles set out in ''McPhail''.


Facts

Mr Bertram Baden settled a trust for the employees, relatives and dependants of his company, Matthew Hall & Co Ltd. It said the net income of the trust fund should be applied by the trustees ‘in their absolute discretion’ and as they thought fit for the employees, relatives and dependants in grants. The House of Lords in ''
McPhail v Doulton , also known as ''Re Baden's Deed Trusts (No 1)'' is a leading English trusts law case by the House of Lords on the certainty of beneficiaries. It held that so long as any given claimant can clearly be determined to be a beneficiary, or not, a ...
'' held that the trust would in principle be valid if it could be said with certainty that a hypothetical claimant "is or is not" within the class of beneficiaries. The case returned to the lower courts to determine if the trust was in fact enforceable. Brightman J held the House of Lords decision had overruled previous ''
IRC v Broadway Cottages Internet Relay Chat (IRC) is a text-based chat system for instant messaging. IRC is designed for group communication in discussion forums, called ''channels'', but also allows one-on-one communication via private messages as well as chat and ...
'' so that the rule in '' Re Gulbenkian'' applied equally to trusts as to powers: a trust was valid if it could be said with certainty that any given individual was or was not a member of a class of beneficiaries, and accordingly the clause was valid as a trust. The executors appealed.


Judgment

The Court of Appeal held, dismissing the appeal, that to apply the '' Re Gulbenkian''
970 Year 970 ( CMLXX) was a common year starting on Saturday (link will display the full calendar) of the Julian calendar, the 970th year of the Common Era (CE) and ''Anno Domini'' designations, the 970th year of the 1st millennium, the 70th yea ...
AC 508
test for a discretionary trust, "conceptual" and "evidential" were distinct. If a claimant could not bring evidence he was a beneficiary, he would not be. But there was no inherent conceptual uncertainty in the words "dependants" or "relatives", and the clause was valid. The three judges gave different views on why the trust was valid. Stamp LJ held that the trust was valid because the court could always determine who was a dependant and a relative could be restricted to a workable definition of the next of kin. Sachs LJ held the test required only clarity in the concept. He put it as follows. Megaw LJ viewed the position to be as follows. He said that requiring complete conceptual certainty would amount to a return to the list certainty test.


See also

* English trusts law


Notes


References

* {{DEFAULTSORT:Re Baden's Deed Trusts (no 2) English trusts case law Court of Appeal (England and Wales) cases 1972 in case law 1972 in British law