Facts: A fraud involving unauthorized changes to corporate registry led to disputed mortgages against a Vancouver property. The fraud was orchestrated by Surinder Kaur Gill and Tarsem Singh Gill.
Issues: The case centered on whether there was actual or constructive knowledge of the fraud by 0694813 B.C. Ltd. when they filed a foreclosure petition.
Ruling: The appeal was dismissed. The court found no evidence of actual knowledge of fraud by 0694813 B.C. Ltd. and determined that the constructive knowledge did not fall within the exceptions under s. 146(2) of the Business Corporations Act.
Amount Awarded: Not applicable; the focus was on the interpretation and application of the Business Corporations Act regarding knowledge of fraud.