The court found the difficulty with the decision at first instance is that it presumed the deceased had a moral responsibility to make testamentary provision for his former wife because his estate was significant and the sole beneficiary of his estate, being his daughter, was a member of the deceased’s family for whom the former wife had had responsibility.
According to the Court of Appeal, the fact that the deceased’s former wife was responsible for raising their child did not create any social, domestic or moral obligation for the deceased to make testamentary provision for her.
Another factor which the court took into account was the fact that the ex-wife had made serious allegations against the deceased which were not upheld.
The financial position between the deceased and the former wife had been determined by Family Law Court orders made in 1992 and the deceased had always complied with his obligations to provide financial support for his daughter. The former wife’s financial need, medical problems, inability to support herself and poor relationships with others were not in any way related to the conduct of the deceased or her relationship with him.