Click the case name for better results:

Sweet v Owners of Blyth Lifeboat; The Edward Duke of Windsor: QBD 22 Jan 2002

A claim which was covered by the Act for damages for psychiatric injury arose not at the date of the accident, but from when the claimant first developed a recognised psychiatric injury. The two year period of limitation under the Act ran accordingly from the later date. Had parliament wished another result, it could easily … Continue reading Sweet v Owners of Blyth Lifeboat; The Edward Duke of Windsor: QBD 22 Jan 2002