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Real Estate Investor's Claim For Lost Opportunity Damages Rejected – Real Estate and Construction – Canada – Mondaq News Alerts

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In Akelius Canada Inc. v. 2436196 Ontario Inc.,
2020 ONSC 6182 (CanLII)
, the Ontario Superior Court of
Justice rejected a real estate investor’s claim for lost
opportunity damages resulting from the failed purchase of an
apartment complex in Toronto.

In 2015, the Plaintiff entered into an Agreement of Purchase and
Sale (APS) to buy seven residential apartment buildings from the
Defendants for $228,958,320. The Plaintiff paid deposits as
required but the transaction failed to close as scheduled in
January 2016, as there were several encumbrances registered on
title as of the completion date which the Plaintiff buyer did not
wish to assume. The Defendants subsequently sold the properties to
another buyer in 2018 for a substantially higher price.

There was little dispute that the Defendants had breached the
APS by failing to remove the encumbrances as required by the time
of closing, thereby entitling the Plaintiff to reimbursement for
sunk costs incurred towards the prospective purchase. These amounts
totalled $775,855.46. At issue, however, was the Plaintiff’s
claim for “lost opportunity” damages of more than $56
million.

The parties agreed that the sale price under the APS reflected
the fair market value of the properties at the time of the aborted
closing in January 2016. They disagreed as to whether damages
should be calculated as of that date or as of the time of the
subsequent sale of the properties by the Defendants in 2018, by
which point there was a significant increase in value of
$56,544,318.00, based on the figures in the Land Transfer Tax
affidavits (which the Court accepted as reflecting the market value
of the properties for the purposes of the argument). The Plaintiff
sought the latter amount as “lost opportunity” damages.
The Plaintiff’s theory was that the Defendants had
intentionally failed to take steps to clear title to the properties
prior to closing as they realized they could achieve a greater
profit by breaching the APS and reselling the apartments to another
buyer in the rising real estate market.

The Defendants countered that the operative date should be the
breach of the APS, and that the Plaintiff had therefore suffered no
damages in addition to the sunk expenses.

The Court described the essence of the dispute as follows:

In argument at the hearing, counsel for the Plaintiff contended
that the Defendants only seem to have realized when they were
half-way to closing that discharging the mortgages would result in
a significant loss of profits. At that point, they determined that
they would benefit by waiting for a more profitable future sale. In
a nicely executed Canadianism, Plaintiff’s counsel submitted
that the Defendants then “ragged the puck” until the
closing buzzer sounded. I feel compelled to add that what followed
is the current donnybrook.

In assessing the issues, the court noted that in the ordinary
case of an aborted purchase and sale of real estate, damages are
usually assessed as of the scheduled closing date: 100 Main
Street Ltd. v. W.B. Sullivan Construction Ltd.
,
1978 CanLII 1630 (ON CA)
. There is however some flexibility
to this approach based upon “what is fair on the facts of
each case”: 642947 Ontario Ltd. v. Fleischer,
2001 CanLII 8623 (ON CA)
.

The date at which damages for breach of the APS is assessed was
also crucial because the basic principle for breach of contract is
that damages should put the injured party as nearly as possible in
the position it would have been in had the contract not been
breached. Typically this is determined by “the difference
between the contract price and the market price”:
100 Main Street
. The price achieved on a
subsequent mitigating sale may be good evidence of the market value
on the intended closing date, but it is not determinative in all
cases where the re-sale price differed from the relevant market
price: Marshall v. Meirik,
2019 ONSC 6215 (CanLII)
.

As well, the Court explained that it could take into account the
nature of the property and the nature of the market: Greenberg
& Greenberg v. Shanghai Real Estate Limited
,
2010 BCSC 1837 (CanLII)
.

Ultimately, the Court ruled against the Plaintiff’s claim
for lost opportunity damages and drew a distinction between claims
where the seller has breached the APS rather than the buyer.

In cases where a seller is seeking damages from a buyer for
failing to complete a real estate purchase, the damages are often
assessed as of the date of subsequent sale, as the loss represented
by the decline in the market (if any) is to be borne by the
breaching party. The seller is generally entitled in those
circumstances for damages equal to the difference between the
contract price and the highest price obtainable within a reasonable
time after the contractual date for completion following the making
of reasonable efforts to sell the property commencing on that
date.

Conversely, in the case at hand, the Plaintiff sought damages
based upon what a disappointed investor would seek, namely the
dollar differential between the APS price and the price achieved
had the Plaintiff been able to purchase and resell the properties
at later date. The Plaintiff argued that its damages should be
measured by putting it in the same position it would have been in
but for the Defendants’ breach. Essentially, the Plaintiff
sought to step into the shoes of the Defendants who speculated on
the increasing value of the properties.

Unfortunately for the Plaintiff, the Court determined that this
very approach had been rejected years earlier by the Ontario Court
of Appeal in
642947 Ontario Ltd. v. Fleischer
, which held that
were a seller retains a property in order to speculate on the
market, damages will be assessed at the date of
closing.

Instead, the measure of damages for failure to complete a
purchase of land is the difference between the contract price in
the APS and the market value of the land at closing, which is
intended to represent the lost benefit of the bargain: see
Marshall v. Meirik
.

Essentially, the Defendants’ motive (for profit or
otherwise) was irrelevant as the Plaintiff was not entitled to
speculative profit as a measure of damages just because the
Defendant made such a profit. The damages must make up what the
buyer lost in value on the closing date, not a speculative future
date.

While the Plaintiff argued that there were no comparable
investment opportunities available, the Court noted that in the
commercial real estate business, where investment units are
entirely fungible, the Plaintiff could have made investments that
replaced the properties in the failed transaction at issue. It is
noteworthy, that no such evidence was before the Court because the
Plaintiff (and its multinational parent company) refused to provide
it on the grounds that to do so was burdensome. In the
Court’s view, this evidentiary burden was not
disproportionate to the approximately $50,000,000 being claimed for
lost opportunity.

In short, as at the aborted closing date, the Plaintiff was
simply not ‘out money’ on top of the expenses which it
was entitled to recover. The Plaintiff retained the millions of
dollars not invested in the apartment complex and could have
invested the funds elsewhere during the intervening years.

This case demonstrates once again that in failed commercial real
estate transactions, lost opportunity damages are not necessarily
easy to obtain, especially for a jilted buyer. Rather than sinking
costs into a court case for more than the recovery of sunk costs,
the better course of action for a jilted investor is likely to
recover the sunk costs as quickly as possible and seek out other
investments opportunities.

The content of this article is intended to provide a general
guide to the subject matter. Specialist advice should be sought
about your specific circumstances.

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Two Quebec real estate brokers suspended for using fake bids to drive up prices

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MONTREAL – Two Quebec real estate brokers are facing fines and years-long suspensions for submitting bogus offers on homes to drive up prices during the COVID-19 pandemic.

Christine Girouard has been suspended for 14 years and her business partner, Jonathan Dauphinais-Fortin, has been suspended for nine years after Quebec’s authority of real estate brokerage found they used fake bids to get buyers to raise their offers.

Girouard is a well-known broker who previously starred on a Quebec reality show that follows top real estate agents in the province.

She is facing a fine of $50,000, while Dauphinais-Fortin has been fined $10,000.

The two brokers were suspended in May 2023 after La Presse published an article about their practices.

One buyer ended up paying $40,000 more than his initial offer in 2022 after Girouard and Dauphinais-Fortin concocted a second bid on the house he wanted to buy.

This report by The Canadian Press was first published Sept. 11, 2024.

The Canadian Press. All rights reserved.

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Montreal home sales, prices rise in August: real estate board

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MONTREAL – The Quebec Professional Association of Real Estate Brokers says Montreal-area home sales rose 9.3 per cent in August compared with the same month last year, with levels slightly higher than the historical average for this time of year.

The association says home sales in the region totalled 2,991 for the month, up from 2,737 in August 2023.

The median price for all housing types was up year-over-year, led by a six per cent increase for the price of a plex at $763,000 last month.

The median price for a single-family home rose 5.2 per cent to $590,000 and the median price for a condominium rose 4.4 per cent to $407,100.

QPAREB market analysis director Charles Brant says the strength of the Montreal resale market contrasts with declines in many other Canadian cities struggling with higher levels of household debt, lower savings and diminishing purchasing power.

Active listings for August jumped 18 per cent compared with a year earlier to 17,200, while new listings rose 1.7 per cent to 4,840.

This report by The Canadian Press was first published Sept. 6, 2024.

The Canadian Press. All rights reserved.

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Canada’s Best Cities for Renters in 2024: A Comprehensive Analysis

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In the quest to find cities where renters can enjoy the best of all worlds, a recent study analyzed 24 metrics across three key categories—Housing & Economy, Quality of Life, and Community. The study ranked the 100 largest cities in Canada to determine which ones offer the most to their renters.

Here are the top 10 cities that emerged as the best for renters in 2024:

St. John’s, NL

St. John’s, Newfoundland and Labrador, stand out as the top city for renters in Canada for 2024. Known for its vibrant cultural scene, stunning natural beauty, and welcoming community, St. John’s offers an exceptional quality of life. The city boasts affordable housing, a robust economy, and low unemployment rates, making it an attractive option for those seeking a balanced and enriching living experience. Its rich history, picturesque harbour, and dynamic arts scene further enhance its appeal, ensuring that renters can enjoy both comfort and excitement in this charming coastal city.

 

Sherbrooke, QC

Sherbrooke, Quebec, emerges as a leading city for renters in Canada for 2024, offering a blend of affordability and quality of life. Nestled in the heart of the Eastern Townships, Sherbrooke is known for its picturesque landscapes, vibrant cultural scene, and strong community spirit. The city provides affordable rental options, low living costs, and a thriving local economy, making it an ideal destination for those seeking both comfort and economic stability. With its rich history, numerous parks, and dynamic arts and education sectors, Sherbrooke presents an inviting environment for renters looking for a well-rounded lifestyle.

 

Québec City, QC

Québec City, the capital of Quebec, stands out as a premier destination for renters in Canada for 2024. Known for its rich history, stunning architecture, and vibrant cultural heritage, this city offers an exceptional quality of life. Renters benefit from affordable housing, excellent public services, and a robust economy. The city’s charming streets, historic sites, and diverse culinary scene provide a unique living experience. With top-notch education institutions, numerous parks, and a strong sense of community, Québec City is an ideal choice for those seeking a dynamic and fulfilling lifestyle.

Trois-Rivières, QC

Trois-Rivières, nestled between Montreal and Quebec City, emerges as a top choice for renters in Canada. This historic city, known for its picturesque riverside views and rich cultural scene, offers an appealing blend of affordability and quality of life. Renters in Trois-Rivières enjoy reasonable housing costs, a low unemployment rate, and a vibrant community atmosphere. The city’s well-preserved historic sites, bustling arts community, and excellent educational institutions make it an attractive destination for those seeking a balanced and enriching lifestyle.

Saguenay, QC

Saguenay, located in the stunning Saguenay–Lac-Saint-Jean region of Quebec, is a prime destination for renters seeking affordable living amidst breathtaking natural beauty. Known for its picturesque fjords and vibrant cultural scene, Saguenay offers residents a high quality of life with lower housing costs compared to major urban centers. The city boasts a strong sense of community, excellent recreational opportunities, and a growing economy. For those looking to combine affordability with a rich cultural and natural environment, Saguenay stands out as an ideal choice.

Granby, QC

Granby, nestled in the heart of Quebec’s Eastern Townships, offers renters a delightful blend of small-town charm and ample opportunities. Known for its beautiful parks, vibrant cultural scene, and family-friendly environment, Granby provides an exceptional quality of life. The city’s affordable housing market and strong sense of community make it an attractive option for those seeking a peaceful yet dynamic place to live. With its renowned zoo, bustling downtown, and numerous outdoor activities, Granby is a hidden gem that caters to a diverse range of lifestyles.

Fredericton, NB

Fredericton, the capital city of New Brunswick, offers renters a harmonious blend of historical charm and modern amenities. Known for its vibrant arts scene, beautiful riverfront, and welcoming community, Fredericton provides an excellent quality of life. The city boasts affordable housing options, scenic parks, and a strong educational presence with institutions like the University of New Brunswick. Its rich cultural heritage, coupled with a thriving local economy, makes Fredericton an attractive destination for those seeking a balanced and fulfilling lifestyle.

Saint John, NB

Saint John, New Brunswick’s largest city, is a coastal gem known for its stunning waterfront and rich heritage. Nestled on the Bay of Fundy, it offers renters an affordable cost of living with a unique blend of historic architecture and modern conveniences. The city’s vibrant uptown area is bustling with shops, restaurants, and cultural attractions, while its scenic parks and outdoor spaces provide ample opportunities for recreation. Saint John’s strong sense of community and economic growth make it an inviting place for those looking to enjoy both urban and natural beauty.

 

Saint-Hyacinthe, QC

Saint-Hyacinthe, located in the Montérégie region of Quebec, is a vibrant city known for its strong agricultural roots and innovative spirit. Often referred to as the “Agricultural Technopolis,” it is home to numerous research centers and educational institutions. Renters in Saint-Hyacinthe benefit from a high quality of life with access to excellent local amenities, including parks, cultural events, and a thriving local food scene. The city’s affordable housing and close-knit community atmosphere make it an attractive option for those seeking a balanced and enriching lifestyle.

Lévis, QC

Lévis, located on the southern shore of the St. Lawrence River across from Quebec City, offers a unique blend of historical charm and modern conveniences. Known for its picturesque views and well-preserved heritage sites, Lévis is a city where history meets contemporary living. Residents enjoy a high quality of life with excellent public services, green spaces, and cultural activities. The city’s affordable housing options and strong sense of community make it a desirable place for renters looking for both tranquility and easy access to urban amenities.

This category looked at factors such as average rent, housing costs, rental availability, and unemployment rates. Québec stood out with 10 cities ranking at the top, demonstrating strong economic stability and affordable housing options, which are critical for renters looking for cost-effective living conditions.

Québec again led the pack in this category, with five cities in the top 10. Ontario followed closely with three cities. British Columbia excelled in walkability, with four cities achieving the highest walk scores, while Caledon topped the list for its extensive green spaces. These factors contribute significantly to the overall quality of life, making these cities attractive for renters.

Victoria, BC, emerged as the leader in this category due to its rich array of restaurants, museums, and educational institutions, offering a vibrant community life. St. John’s, NL, and Vancouver, BC, also ranked highly. Québec City, QC, and Lévis, QC, scored the highest in life satisfaction, reflecting a strong sense of community and well-being. Additionally, Saskatoon, SK, and Oshawa, ON, were noted for having residents with lower stress levels.

For a comprehensive view of the rankings and detailed interactive visuals, you can visit the full study by Point2Homes.

While no city can provide a perfect living experience for every renter, the cities highlighted in this study come remarkably close by excelling in key areas such as housing affordability, quality of life, and community engagement. These findings offer valuable insights for renters seeking the best places to live in Canada in 2024.

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