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LQS CONSTRUCTION PTE LTD v MENCAST MARINE PTE LTD & Anor
An applicant for an ex parte injunction has a duty of full and frank disclosure; failure to disclose material facts justifies the discharge of the injunction. Furthermore, mere contractual disputes do not meet the high threshold of unconscionability required to restrain a call on
LQS Construction Pte Ltd v Mencast Marine Pte Ltd and another [2017] SGHC 148
An applicant for an ex parte injunction has a duty of full and frank disclosure. Failure to disclose material facts, such as the termination of the contract, justifies the discharge of the injunction. Furthermore, a strong prima facie case of unconscionability is required to rest