Appeal in a case about equitable ownership of a family home purchased in joint names, initially with equal ownership rights, where the unmarried parties later separate. Must a party claiming a subsequent increase in her equitable share necessarily have acted to her detriment? Or does a common intention alone suffice to alter the beneficial shares?
Judges:
Mr Justice Kerr
Citations:
[2022] EWHC 631 (QB)
Links:
Jurisdiction:
England and Wales
Trusts, Land
Updated: 10 April 2022; Ref: scu.674674