In Dhillon and another v Siddiqui and others – Butterworths Law Direct 10.12.07 the court heard the Claimant’s application to reamend their particulars of claim to introduce four new claims. It found that two of the new claims were time barred, but allowed amendments in respect of the other two.

The court also allowed the Claimants’ appeal against a decision to award the Defendants summary judgment on the grounds that there was a real prospect that the Claimants might be able to establish at trial that they were entitled to the indemnity sought.