Kable v Director of Public Prosecutions (NSW)
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''Kable v DPP'',. is a decision of the
High Court of Australia The High Court of Australia is Australia's apex court. It exercises original and appellate jurisdiction on matters specified within Australia's Constitution. The High Court was established following passage of the '' Judiciary Act 1903''. ...
. It is a significant case in Australian constitutional law. The case is notable for having established the 'Kable Doctrine', a precept in Australian law with relevance to numerous important legal issues; including the
separation of powers Separation of powers refers to the division of a state's government into branches, each with separate, independent powers and responsibilities, so that the powers of one branch are not in conflict with those of the other branches. The typi ...
,
parliamentary sovereignty Parliamentary sovereignty, also called parliamentary supremacy or legislative supremacy, is a concept in the constitutional law of some parliamentary democracies. It holds that the legislative body has absolute sovereignty and is supreme over ...
, Australian
federalism Federalism is a combined or compound mode of government that combines a general government (the central or "federal" government) with regional governments ( provincial, state, cantonal, territorial, or other sub-unit governments) in a single ...
, and the judicial role. It is particularly significant as one of the few restraints upon the otherwise plenary legislative powers of state parliaments in Australia, aside those imposed by the Commonwealth through section 109. The ''Kable'' decision is controversial among legal scholars.


Facts

Gregory Kable had been sentenced to five years imprisonment for the manslaughter of his wife. In gaol, Kable had sent threatening letters to the people who denied him access to his children. He was charged and sentenced to an additional 16 months for writing the letters in 1990. Four years later, having been granted no parole, he was released from gaol. His release coincided with a state election campaign which featured "law and order" as a major issue. In the course of that campaign, the
Parliament of New South Wales The Parliament of New South Wales is a bicameral legislature in the Australian state of New South Wales (NSW), consisting of the New South Wales Legislative Assembly (lower house) and the New South Wales Legislative Council (upper house). Each ...
passed the Community Protection Act 1994. It authorized the
Supreme Court of New South Wales The Supreme Court of New South Wales is the highest state court of the Australian State of New South Wales. It has unlimited jurisdiction within the state in civil matters, and hears the most serious criminal matters. Whilst the Supreme Court ...
to make an order requiring that a single individual be detained in prison if the Court was satisfied that that person posed a significant danger to the public. The Act was later amended to authorise the Court to detain Kable specifically. The legislation was closely modelled on a law passed in Victoria, the Community Protection Act 1990, which was enacted to authorise 'preventive detention' for Garry David. In early 1995, Justice Levine of the Supreme Court made an order under the ''Community Protection Act'' requiring that Kable be detained for a period of six months. Kable appealed that decision but lost at the NSW Court of Appeal. Kable then appealed to the High Court. His counsel, Sir
Maurice Byers Sir Maurice Hearne Byers (10 November 191717 January 1999) was a noted Australian jurist and constitutional expert. He was the Commonwealth Solicitor-General from 1973 to 1983, in which capacity he played a role in the Gair Affair and the 197 ...
, put forward an argument that the legislation was constitutionally invalid.


Judgment

The High Court held that the law was unconstitutional. Its reasoning was that the act had conferred a power upon the NSW Supreme Court which was incompatible with section 71 of the constitution. Section 71 vests Australia's state supreme courts with federal judicial power. The act was described by multiple justices in the majority as requiring the Supreme Court to '(perform) of non-judicial functions of such a nature that public confidence in the integrity of the judiciary as an institution ... is diminished'. This was an attempt to ground ''Kable'' in the precedent of a test for invalidity set by ''Grollo v Palmer.'' The preventative detention of Kable under the act for reasons of anticipated criminality was enough for Toohey J to declare that the ''Grollo'' test had been met.


Aftermath

Subsequent to the decision, Kable sought an award of damages for
abuse of process An abuse of process is the unjustified or unreasonable use of legal proceedings or process to further a cause of action by an applicant or plaintiff in an action. It is a claim made by the respondent or defendant that the other party is misusing ...
,
false imprisonment False imprisonment or unlawful imprisonment occurs when a person intentionally restricts another person’s movement within any area without legal authority, justification, or the restrained person's permission. Actual physical restraint is ...
and
malicious prosecution Malicious prosecution is a common law intentional tort. Like the tort of abuse of process, its elements include (1) intentionally (and maliciously) instituting and pursuing (or causing to be instituted or pursued) a legal action ( civil or crimin ...
. His application was dismissed by the Supreme Court of NSW, but he was successful in an appeal to the NSW Court of Appeal on his claim of false imprisonment with damages to be assessed. The State of NSW then appealed to the High Court. The High Court unanimously upheld the appeal and dismissed Mr Kable's claims, holding that a detention order made by a judge of the Supreme Court of NSW was valid until it was set aside and provided lawful authority for Mr Kable's detention.''New South Wales v Kable''
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__Significance_

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Significance

The ''Kable'' decision is controversial among legal scholars. The decision has received qualified praise from Trevor Allan (legal philosopher)">TRS Allan who said that; 'despite doubtful reasoning, (it) vindicated indirectly the fundamental character of the separation of powers as an aspect of the rule of law'. Prominent critics of the decision include Jeffrey Goldsworthy and George Winterton. Winterton described the reasoning in ''Kable'' as 'barely even plausible'; while Goldsworthy described the decision and its line of authority as lacking 'methodological rigour'; accusing the court of ' judicial statesmanship'. The principles and reasoning supporting the Kable doctrine are understood to have developed since the original decision. One such important case in this line of authority is ''Kirk v Industrial Relations Commission''. Kable has proven to be an important doctrine for the court to consider in many subsequent decisions; including an appeal by Julian Knight for his release in ''Knight v Victoria''.


See also

*
Australian constitutional law Australian constitutional law is the area of the law of Australia relating to the interpretation and application of the Constitution of Australia. Several major doctrines of Australian constitutional law have developed. Background Constitution ...


Footnotes


References

{{reflist, refs= * Winterton, G. ''et al.'' ''Australian federal constitutional law: commentary and materials'', 1999. LBC Information Services, Sydney.


External links


Community Protection Act 1994
High Court of Australia cases 1996 in Australia Australian constitutional law Rights in the Australian Constitution cases 1996 in case law