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The Supreme Court Pronounces Itself on the Doctrine of a Bona Fide P... https://www.oraro.co.ke/the-supreme-court-pronounces-itself-on-the-pos...

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The Supreme Court Pronounces Itself on the


Doctrine of a Bona Fide Purchaser

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June 26, 2023(Https://Www.Oraro.Co.Ke/2023/06/26/)

The Supreme Court Pronounces Itself on the Doctrine of a Bona Fide


Purchaser
by

Pamella Ager(Https://Www.Oraro.Co.Ke/Our-People/Pamella-Ager/)
James Kituku(Https://Www.Oraro.Co.Ke/Our-People/James-Kituku/)

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The Supreme Court Pronounces Itself on the Doctrine of a Bona Fide P... https://www.oraro.co.ke/the-supreme-court-pronounces-itself-on-the-pos...

(https://www.oraro.co.ke)
The Supreme Court, in a landmark Judgment delivered on 21st April 2023 in the case of Dina
Management Limited v County Government of Mombasa & 5 others (2023) eKLR, held that the
protection offered to a bona fide purchaser for value without notice does not apply where the Title to the
property was obtained irregularly or illegally.

In this case, the dispute arose with respect to the ownership of Property Title Number MN/1/6053 situated
in Nyali Beach, Mombasa County. The suit property was allocated and thereafter a freehold Title over the
property issued to the first registered owner by the Commissioner of Lands in 1989.

The suit property was thereafter sold to a subsequent purchaser and eventually sold to the Appellant In
the ensuing period, the County Government of Mombasa entered the suit property, which was adjacent to
the beach, demolished the perimeter wall facing the beachfront and flattened the property to the same
level of the beach, on the premise that the land was designated as an open space, and thus was not
available for alienation to a private party.

HOLDING
In arriving at the decision, the Supreme Court held that a Title document is not sufficient proof of
ownership of property where the origin of that Title has been challenged. The holder of the Title document
must go beyond the instrument itself and show that the process of acquisition from inception was legal.

In this regard, the Supreme Court found that no documents had been produced to show that the suit
property was lawfully allocated to the first owner i.e., the Part Development Plan (PDP) and a letter of
allotment based on the approved PDP. The Supreme Court therefore determined that the allocation of the
suit property to the first owner was illegal and as a result, no good Title capable of transfer was acquired
either by the first owner, or subsequent purchasers.

The Supreme Court held that a registered proprietor acquires a valid Title only if the original allocation was
legal. Therefore, the onus was on the Appellant to carry out the necessary due diligence before
purchasing the suit property, as it would have discovered the defects in the Title, in this case the lack of
the aforesaid documents. In the circumstances, the Supreme Court held that the protection offered to a
bona fide purchaser did not apply to the Appellant, and it did not acquire a valid Title to begin with.

CONCLUSION
The Supreme Court’s decision settles with finality the hitherto troubling position of the bona fide purchaser,
with the Court emphasizing that one must go to the root of the Title in order to satisfy oneself as to the
Title’s validity.

The decision, though arguably controversial as it upsets the Torrens system which is predicated upon the
sanctity of the Register, resolves earlier conflicting decisions by the Court of Appeal which had brought
some confusion on the matter, as these earlier decisions essentially pulled in different directions with
regard to the bona fide purchaser. This includes Tarabana Company Limited v Sehmi & 7 others
(2021) eKLR, where the Court of Appeal determined the Appellant to be a bona fide purchaser deserving

2 of 5 1/24/2024, 6:11 PM
The Supreme Court Pronounces Itself on the Doctrine of a Bona Fide P... https://www.oraro.co.ke/the-supreme-court-pronounces-itself-on-the-pos...
of protection, as the Title to the suit property, though acquired illegally, was acquired before the Appellant
came into the picture i.e., the Appellant was not involved in the illegality. However, in Arthi Highway
(https://www.oraro.co.ke)
Developers Limited v West End Butchery Limited & 6 others (2015) eKLR, the Appellant was
determined not to be a bona fide purchaser, as it knew about the challenge relating to the Title to the suit
property. Fraudsters sold the suit property to the Appellant who in turn sub-divided it into various parcels
for sale. The Court of Appeal held that no valid Title passed to the Appellant, which in turn meant that
Titles acquired by the subsequent purchasers of the subdivisions were also null and void.

The Supreme Court’s decision now mandates all purchasers to investigate the root of the Title to the
property before proceeding with acquisition, for there will be no protection offered to a purchaser with
respect to a Title whose root is defective or marred by illegality.

Please click here (https://www.oraro.co.ke/wp-content/uploads/2023/06/The-Supreme-


Court-Pronounces-Itself-on-the-Doctrine-of-a-Bona-Fide-Purchaser.pdf) to download the
alert.

This alert is for informational purposes only and should not be taken to be or construed as a legal opinion.
If you have any queries or need clarifications, please do not hesitate to contact Pamella Ager,
(https://www.oraro.co.ke/our-people/pamella-ager/)Managing Partner (pamella@oraro.co.ke
(pamella@oraro.co.ke)) and James Kituku (https://www.oraro.co.ke/our-people/james-kituku/), Partner,
(james@oraro.co.ke (james@oraro.co.ke)) or your usual contact at our firm, for legal advice.

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