Certificate is central to the time bar rule
Series: Construction News ; (6736) 4 October 2001, 12(1)Publication details: 2001Subject(s): Summary: Examines the case, "Scottish Equitable v Miller Construction" which addresses the definiton of time-bar periods in relation to loss and expense claims. The Court of Session Inner House found that the time-bar period does not begin to run until the issue of a relevant certificate; the time period is reset each time a new certificate is issued; and therefore the time period does not start from the date of the relevant event resulting in loss and expense. Emphasises the importance of issuing final certifcates.| Item type | Current library | Call number | Copy number | Status | Barcode | |
|---|---|---|---|---|---|---|
| Journal article | London Journal article | ABS64623 (Browse shelf(Opens below)) | 1 | Available | 115344-1001 |
Examines the case, "Scottish Equitable v Miller Construction" which addresses the definiton of time-bar periods in relation to loss and expense claims. The Court of Session Inner House found that the time-bar period does not begin to run until the issue of a relevant certificate; the time period is reset each time a new certificate is issued; and therefore the time period does not start from the date of the relevant event resulting in loss and expense. Emphasises the importance of issuing final certifcates.