Abstract
This decision is significant in the HIV+ non-disclosure context: if the approach taken here is adopted more widely, it would in effect reverse an aspect of the Supreme Court's decision in R. v. Mabior , 2012 SCC 47, 96 C.R. (6th) 1 (S.C.C.). In that case, the Court dealt with when HIV+ non-disclosure would mean that consent had been vitiated, and therefore that apparently consensual activity was in fact a sexual assault. Specifically, it found that consent would be vitiated by fraud if there was risk of deprivation due to the non-disclosure, and that there would not be a risk of deprivation if the accused had a low viral load and also used a condom.
| Original language | Canadian English |
|---|---|
| Journal | Articles, Book Chapters, & Popular Press |
| Publication status | Published - Jan. 1 2016 |
UN SDGs
This output contributes to the following UN Sustainable Development Goals (SDGs)
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SDG 16 Peace, Justice and Strong Institutions
Keywords
- Offences
- Sexual Assault
- Aggravated Sexual Assault
- Consent
Disciplines
- Criminal Law
- Criminal Procedure
- Law
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