Cases

Emaco v Dyson Appliances Ltd


Comment

The Judge's starting point on the malicious falsehood cross-claims was to ascertain the meaning of the material of which complaint was made, applying the one meaning rule and the principles adopted in defamation cases as set out by the Court of Appeal in Skuse v Granada Television Limited [1996] EMLR 278. The issue of falsity was then judged by him against the single natural and ordinary meaning as so determined.

Areas of work

Intellectual Property
Malicious Falsehood
Passing off
Trade Marks

Also