Clarkson v. The Queen
Encyclopedia
Clarkson v. The Queen, [1986] 1 S.C.R. 383 is a leading Supreme Court of Canada
Supreme Court of Canada
The Supreme Court of Canada is the highest court of Canada and is the final court of appeals in the Canadian justice system. The court grants permission to between 40 and 75 litigants each year to appeal decisions rendered by provincial, territorial and federal appellate courts, and its decisions...

 decision on the right to retain and instruct counsel under section 10(b)
Section Ten of the Canadian Charter of Rights and Freedoms
Section Ten of the Canadian Charter of Rights and Freedoms specifies rights upon arrest or detention, including the rights to consult a lawyer and the right to habeas corpus. As a part of a broader range of legal rights guaranteed by the Charter, section 10 rights may be limited by the Oakes test...

 of the Canadian Charter of Rights and Freedoms
Canadian Charter of Rights and Freedoms
The Canadian Charter of Rights and Freedoms is a bill of rights entrenched in the Constitution of Canada. It forms the first part of the Constitution Act, 1982...

. The Court held that in order for an accused to waive their right to retain and instruct counsel they must be clear and unequivocal, and the accused must be aware of the consequences of the waiver.

Background

On December 8, 1982, Lana Louise Clarkson, in an intoxicated state, called to her sister to tell her that her husband, Mr. Clarkson, had been shot. Several members of the family came over to find Clarkson in a hysterical state. Her husband was in the livingroom slumped in a chair with a bullet hole in his head.

When the police arrived they arrested Clarkson, informed her of her right to retain and instruct counsel, and then charged her with the murder of Mr. Clarkson. Clarkson was taken to the hospital along with her aunt, Lorna Estey. Along the way the police overheard Clarkson make several inculpatory statements to her aunt.

Afterwards the police took Clarkson to the station where she was informed of her rights again. However, she refused to contact a lawyer. During interrogation Estey was present and made several attempts to stop Clarkson from answering and insisted that she get a lawyer. Nevertheless, Clarkson made several incrimating statements.

At trial, the court found that the statements were made in violation of section 10(b) and excluded under section 24(2) of the Charter. On appeal the decision was overturned and Clarkson was convicted.

The issue before the Supreme Court was whether the police violated her rights under section 10(b) and if so whether the statements should be excluded under section 24(2).

Opinion of the Court

Justice Wilson, writing for the majority, held that the trial judge was correct and that Clarkson should be acquitted.

Wilson noted that in order for a waiver of right to counsel to be valid it "must be premised on a true appreciation of the consequences of giving up that right." She identified the purpose of the right is to ensure that the accused will be treated fairly.

She proposed that an accused must satisfy an "awareness of the consequences test" to properly waive their rights. On the facts, there was evidence that due to her intoxication Clarkson was not entirely aware of the consequences of her waiver. The police, in their questioning, violated 10(b) and the statements should be excluded under section 24(2).

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