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DUTIES OF
TRUSTEES

                                     LAW556



  norliza abdul hamid/october 2012            1
1) DUTY TO ACT IN ACCORDANCE WITH
             TRUST DEED
• The trustee must act in accordance with the
  terms of the trustee deed and general law.
• The trust instrument may make the duties
  more or less strict.




                 norliza abdul hamid/october 2012   2
Example
• Settlor cannot exclude the duties which are
  the essence of a trust relationship.
• Eg Settlor cannot state that the trustees do
  not have to provide accounts to the
  beneficiaries.
• Armitage v Nurse [1998], the court said ‘if the
  beneficiaries have no rights against the
  trustees there are no trusts.”


                  norliza abdul hamid/october 2012   3
2) DUTY ON APPOINTMENT
• Duty to familiarize himself with the terms of the
  trust, ie he should read and understand the
  provisions of the trust instrument.
• Duty to ensure that all trust properties are duly
  and properly vested in him
• Duty to act impartially between the beneficiaries,
  especially when there are beneficiaries with life
  interest (life tenant) and those with residual
  interest.
• Duty to act unanimously / jointly.
• Duty to comply with the terms of the trust.

                   norliza abdul hamid/october 2012   4
3) DUTY TO CONVERT
• This is connected to trustees’ duty to be fair &
  impartial to all the different categories/classes
  of beneficiaries (life tenants and
  remaindeman, if any).
• Refer to rule in Howe v Earl of Dartmouth
  [1802]




                  norliza abdul hamid/october 2012   5
• Trustees are required to sell:
(i) Speculative, wasting, hazardous and
   unauthorized investments. Eg royalties, copyright.

• Assumed that these investments produce income
  which exceeds what a life tenant should
  reasonably have.
• Trustees are under duty to apportion the property
  fairly between the beneficiaries.
• Life tenant receives income from authorized
  investment and the balance will be added to the
  capital.

                   norliza abdul hamid/october 2012   6
(ii) Future, reversionary and other properties
   which do not produce any income.

• Must be sold to produce income. Proceeds
  will be apportioned between the life tenant
  and remainder man.




                  norliza abdul hamid/october 2012   7
Comments
• The rule in Howe v Dartmouth has limited
  application. Does not apply to inter vivos trust.
• Rule is considered to be out-dated. Modern
  wills generally exclude these duties.




                  norliza abdul hamid/october 2012   8
4) DUTY TO APPORTION
• When there is a duty to convert, the courts have developed
  rules regarding apportionment which depends on trust
  properties. Unless there’s specific provisions in trust
  instrument regarding apportioning trust properties.

• If there is no duty to convert, then there’s no duty to
  apportion. The life tenant gets the income from trust fund,
  and the remainderman gets the capital.

• Relevant cases:
• Howe v Dartmouth
• Re Earl of Chesterfield’s Trusts.


                       norliza abdul hamid/october 2012         9
5) DUTY TO DISTRIBUTE
• Trustees have a duty to distribute the trust property
  to those entitled to receive them as provided by the
  trust instrument. Otherwise, if the trustees fail to
  properly distribute, it is a breach of trust.
• Linked to this is the duty of the trustee to properly
  identify and determine the right beneficiaries.

• In Eaves v Hickson (1861), the trustees had to make
  good the loss for paying the wrong person based on
  a forged document.
                    norliza abdul hamid/october 2012   10
Protection in s.32 TA 1949
• s.32(1) – trustees may give advertise of their
  intention to distribute. Give notice in the
  Gazette, and similar notices, including those
  outside Malaysia. In notice give time limit of
  not less than 2 months. If there are several
  notices, then not less than 2 months of last
  notice.
• Purpose is for any person interested to send
  to trustees particulars of his claim in relation
  to the property stated in the notice.
                   norliza abdul hamid/october 2012   11
• s.32(2) – When the time period is up, then
  trustees “may convey or distribute the
  property … to or among the persons entitled
  thereto, having regard only to the claims, …,
  of which the trustees …had notice…”. They
  then will not be liable to any person who
  they did not have notice at the time of
  distribution. Thus, trustees are protected.




                 norliza abdul hamid/october 2012   12
• Re Aldhous [1955], where no beneficiaries
  responded to the advertisement. The executor
  then paid estate money to the Crown.
• Held: Executor not liable.



• The section shall apply, regardless of any
  contrary provision in the trust instrument –
  s.32(3)


                   norliza abdul hamid/october 2012   13
See also : Benjamin Order
• Re Benjamin [1902] 1 Ch 723.
• Facts: David Benjamin left his residuary estate
  to all 12 children equally. However, a year
  before he died, one of his children had
  disappeared in France.
• Held: In the absence of contrary evidence, the
  court presumed that Benjamin’s beneficiary
  had died. His share was to be allocated
  accordingly.
•
                  norliza abdul hamid/october 2012   14
• a Court Order which presumes that a beneficiary
  had pre-deceased the settlor. If so, trustees can
  then allocate trust fund as if the beneficiary has
  died. The order is used in cases where the
  beneficiaries’ whereabouts are unknown.
• If he eventually turned up, then he may trace his
  share from the recipients. The trustees would not
  be liable for breach of trust when they distributed
  after the court order.
• However, before the order is made, the court must
  be satisfied that all possible / reasonable inquiries
  have been made to locate the beneficiaries.
                    norliza abdul hamid/october 2012   15
6) DUTY TO PROVIDE INFORMATION TO
            BENEFICIARIES
• To provide the beneficiary with complete and
  accurate information relating to the trust fund
  and also to allow them to inspect documents
  relating to the trust.




                  norliza abdul hamid/october 2012   16
• O’Rourke v Darbishire [1920] AC 581
• Lord Wrenbury: “…a beneficiary has a right
  of access to the documents he desires to
  inspect upon what has been called in the
  judgments in this case a proprietary right.
  The beneficiary is entitled to see all trust
  documents, because they are trust
  documents, and because he is a beneficiary.
  They are, in this sense, his own.”



                  norliza abdul hamid/october 2012   17
• Exceptions:
(i) The right does not extend to documents which the
   beneficiaries have no beneficial interest.

(ii) It also does not apply to documents which belong
   to the trustees.

(iii) It also does not apply to documents which
    records the reasons for the trustees’ decisions
eg in relation to the exercise of trustee’s discretions.



                     norliza abdul hamid/october 2012   18
• Re Marquess of Londonderry’s Settlements
• Facts : Trustees were authorized to distribute
  the trust fund according to whatever proportion
  they think fit. One of the beneficiaries
  complained that she received too little. So she
  wanted to inspect all documents which would
  have stated the reason for the trustees to
  distribute that way.
• Held: beneficiary was not allowed to do so.



                  norliza abdul hamid/october 2012   19
• Re Gulbenkian’s Settlement Trusts (No 1)
  [1970] AC 508
• Facts: Trustees were given discretion to pay or
  not pay income to certain beneficiaries.
• Lord Reid: “They are given an absolute
  discretion. So if they decide in good faith at
  appropriate times to give none of the income
  to any of the beneficiaries the court cannot
  pronounce their reasons to be bad. And
  similarly if they decide to give some or all of
  the income to a particular beneficiary the court
  will not review their decision.”

                   norliza abdul hamid/october 2012   20
(iv) Beneficiaries have no access to confidential documents

• Hartigan Nominees Pty Ltd v Rydge (1992)29 NSWLR 405
• Mahoney JA, “..there are documents and, no doubt, there is
  information which have been given to the trustee upon the basis that
  they be treated as confidential. It is not every aspect of confidentiality
  which need be, for the present purpose, examined … It is possible to
  envisage documents communicated to a trustee which, though the
  property of the trust, are confidential and for that reason should not
  be disclosed to beneficiaries. The settler may communicate
  confidential information about a beneficiary as a reason for not
  exercising a discretionary power in his favour; a beneficiary may
  communicate to the trustee information as to his assets which he
  desires to keep confidential; and information may be communicated
  in the context of personal family affairs the disclosure of which would
  be abrasive or distressing. As the judgments in the Re Londonderry
  case [1965] Ch 918 indicate, that is a proper reason for not requiring
  disclosure of documents of information which otherwise should be
  disclosed to a beneficiary.”


                            norliza abdul hamid/october 2012             21
7) DUTY TO KEEP ACCOUNT
• Required to keep and maintain accurate
  accounts. The accounts must be made
  available for the beneficiaries’ inspection on
  demand.
• Pearse v Green (1819)1 Jac & W 135.
• Plummer MR said, “the first duty of an
  accounting party whether an agent, trustee, a
  receiver or an executor … to be constantly
  ready with his accounts.”
                 norliza abdul hamid/october 2012   22
• Chan Chin Cheung v Chan Chak Cheung & Anor
  [2005] 1 LNS 89. Court of Appeal
• Facts: The plaintiff was one of the beneficiaries
  of an estate. The defendants were the trustees.
  At all material times the defendants resided in
  Singapore. The plaintiff was not satisfied with
  the defendants ' conduct of the affairs of the
  estate. So he filed an action in the KL High
  Court to obtain an order for an investigative
  audit of the accounts of the estate.


                  norliza abdul hamid/october 2012   23
• CA Held : A trustee is obliged to render accounts of the trust
  property to a beneficiary. In this regard reference is made to
  Halsbury's Laws of Malaysia Vol 5 which says at p 720:-
• "A trustee must furnish to a beneficiary, or to a person
  authorised by him, on demand, information or the means of
  obtaining information as to the mode in which the trust
  property or his share in it has been invested or otherwise
  dealt with, and as to where it is and full accounts respecting
  it, whether the beneficiary has a present interest in the trust
  property or only a contingent interest in remainder, or is
  only an object of a discretionary trust. If the trustee neglects
  or fails to do so, he is liable for the costs of proceedings to
  compel production of information or accounts. He must also
  allow a beneficiary to inspect the trust accounts and all
  documents relating to the trust, and has a duty to explain to
  a beneficiary what his rights are."



                         norliza abdul hamid/october 2012        24
• And at p 855:
• "One of the remedies available against the
  personal representative of a deceased person for
  those seeking information about the deceased
  person's estate is to be supplied with an account
  of it. It is the imperative duty of the personal
  representative to keep proper accounts from the
  time he begins to administer the estate so as to
  render proper account to any beneficiary who
  demands the same throughout the administration
  of the estate."




                   norliza abdul hamid/october 2012   25
• there is no duty to have the accounts audited,
  unless there is a specific requirement under the
  trust instrument.
• However, s.27(4) states:
• “Trustees may, in their absolute discretion, from
  time to time, but not more than once in every
  year unless the nature of the trust or any special
  dealings with the trust property make a more
  frequent exercise of the right reasonable, cause
  the accounts of the trust property to be
  examined or audited by an independent
  accountant,…”

                   norliza abdul hamid/october 2012   26
• When fulfilling this duty, trustees may appoint
  an agent.
• Wroe v Seed
• Held: A trustee who was illiterate and
  therefore could not keep accounts himself was
  justified in employing an agent to keep the
  accounts.
•
• See s.28 TA 1949 – which states that as long as
  the act of employing the agent is done in good
  faith, then the trustees will not be liable for
  breach of duty
                 norliza abdul hamid/october 2012   27
8) NON-DELEGATION OF DUTIES
• The general rule is that a trustee cannot
  delegate his duties relating to the
  management of the trust to another person.
• Maxim: delegates non potest delegare




                norliza abdul hamid/october 2012   28
• Lord Westbury in Robson v Flight (1865)
• “such trust and powers are supposed to have
  been committed by the [settlor] to the
  trustees he appoints by reason of his personal
  confidence in their discretion, and it would be
  wrong to permit them to be exercised by
  [another].”




                   norliza abdul hamid/october 2012   29
Exceptions:
• Lord Radcliffe in Pilkington v IRC [1964]
• “the law is not that trustees cannot delegate;
  it is that trustees cannot delegate unless they
  have authority to do so.”




                  norliza abdul hamid/october 2012   30
i) Delegation under s.28(1) TA 1949.
• ie, delegation is allowed where to do any act or
  transaction in executing the trust ,
• eg receipt and payment of money.
• If so, the agent can be paid for his charges &
  expenses incurred.
• If the trustee did employ an agent to act for him,
  then the trustee is still liable to the beneficiaries.
• Eg If the agent failed to perform his task and
  breached his duty as agent.
• Unless, trustees acted in good faith – see s.28(1)“
  and shall not be responsible for the default of any
  such agent if employed in good faith.”

                     norliza abdul hamid/october 2012   31
In Re Vickery [1931], the court said:
(i) delegation is allowed regardless of whether “there is
    any real necessity for the employment”
(ii) trustee should use his discretion when choosing an
    agent.
(iii) agent should be employed only to do acts within
    the scope of the usual business of the agent.
(iv) if any loss occur due to the employment of agent,
    the trustee will not be liable “unless he has been
    guilty of wilful misconduct.” The court referred to Re
    City Equitable Fire Insurance Co [1925] and said that
    wilful conduct means “either a consciousness of
    negligence or a breach of duty, or a recklessness in the
    performance of a duty.”
                      norliza abdul hamid/october 2012     32
• Courts have accepted that delegation may be
  necessary for commercial practicality.
• Learoyd v Whiteley (1887)
• per Lord Watson “...whilst trustees cannot
  delegate the execution of the trust, they
  may ... avail themselves of the service of
  others wherever such employment is
  according to the usual course of business.”




                 norliza abdul hamid/october 2012   33
(ii) Delegation under s.28(2)
• Trustee may appoint agent to sell, convert,
  collect, manage or administer any
  movable/immovable property outside
  Malaysia.
• “…and shall not, by reason only of their having
  made such appointment, be responsible for
  any loss arising thereby.”




                  norliza abdul hamid/october 2012   34
(iii) Delegation under s.28(3)(a)(i)
• Trustee may appoint a solicitor as his agent eg
  to receive/give discharge any money/property
  on behalf of the trustee




                  norliza abdul hamid/october 2012   35
iv) Delegation under s.28(3)(a)(iii)
• Trustee may appoint a banker/solicitor as
  agent to receive/give discharge for any money
  payable to trustee under an insurance policy.




                 norliza abdul hamid/october 2012   36
v) Delegation under s.30(1)
• where trustee intends to be out of Malaysia
  for more than 14 days, he may delegate his
  power and discretion as a trustee to any
  person. By power of attorney.
• s.30(3) – effective when trustee is out of
  Malaysia and revoked on his return/entry to
  Malaysia.
• s.30(9) – valid for not longer than 3 years.


                 norliza abdul hamid/october 2012   37
• NOTE:
• Even when delegation is allowed, the trustee
  can still be liable if he failed to exercise
  reasonable care in choosing, appointing and
  supervising the agent. If he failed to properly
  supervise the agent in performing his duty, he
  can still be held liable – Re Briers (1884) 26 Ch
  D 238.




                   norliza abdul hamid/october 2012   38
The End




norliza abdul hamid/october 2012   39

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administration and trust - duties

  • 1. DUTIES OF TRUSTEES LAW556 norliza abdul hamid/october 2012 1
  • 2. 1) DUTY TO ACT IN ACCORDANCE WITH TRUST DEED • The trustee must act in accordance with the terms of the trustee deed and general law. • The trust instrument may make the duties more or less strict. norliza abdul hamid/october 2012 2
  • 3. Example • Settlor cannot exclude the duties which are the essence of a trust relationship. • Eg Settlor cannot state that the trustees do not have to provide accounts to the beneficiaries. • Armitage v Nurse [1998], the court said ‘if the beneficiaries have no rights against the trustees there are no trusts.” norliza abdul hamid/october 2012 3
  • 4. 2) DUTY ON APPOINTMENT • Duty to familiarize himself with the terms of the trust, ie he should read and understand the provisions of the trust instrument. • Duty to ensure that all trust properties are duly and properly vested in him • Duty to act impartially between the beneficiaries, especially when there are beneficiaries with life interest (life tenant) and those with residual interest. • Duty to act unanimously / jointly. • Duty to comply with the terms of the trust. norliza abdul hamid/october 2012 4
  • 5. 3) DUTY TO CONVERT • This is connected to trustees’ duty to be fair & impartial to all the different categories/classes of beneficiaries (life tenants and remaindeman, if any). • Refer to rule in Howe v Earl of Dartmouth [1802] norliza abdul hamid/october 2012 5
  • 6. • Trustees are required to sell: (i) Speculative, wasting, hazardous and unauthorized investments. Eg royalties, copyright. • Assumed that these investments produce income which exceeds what a life tenant should reasonably have. • Trustees are under duty to apportion the property fairly between the beneficiaries. • Life tenant receives income from authorized investment and the balance will be added to the capital. norliza abdul hamid/october 2012 6
  • 7. (ii) Future, reversionary and other properties which do not produce any income. • Must be sold to produce income. Proceeds will be apportioned between the life tenant and remainder man. norliza abdul hamid/october 2012 7
  • 8. Comments • The rule in Howe v Dartmouth has limited application. Does not apply to inter vivos trust. • Rule is considered to be out-dated. Modern wills generally exclude these duties. norliza abdul hamid/october 2012 8
  • 9. 4) DUTY TO APPORTION • When there is a duty to convert, the courts have developed rules regarding apportionment which depends on trust properties. Unless there’s specific provisions in trust instrument regarding apportioning trust properties. • If there is no duty to convert, then there’s no duty to apportion. The life tenant gets the income from trust fund, and the remainderman gets the capital. • Relevant cases: • Howe v Dartmouth • Re Earl of Chesterfield’s Trusts. norliza abdul hamid/october 2012 9
  • 10. 5) DUTY TO DISTRIBUTE • Trustees have a duty to distribute the trust property to those entitled to receive them as provided by the trust instrument. Otherwise, if the trustees fail to properly distribute, it is a breach of trust. • Linked to this is the duty of the trustee to properly identify and determine the right beneficiaries. • In Eaves v Hickson (1861), the trustees had to make good the loss for paying the wrong person based on a forged document. norliza abdul hamid/october 2012 10
  • 11. Protection in s.32 TA 1949 • s.32(1) – trustees may give advertise of their intention to distribute. Give notice in the Gazette, and similar notices, including those outside Malaysia. In notice give time limit of not less than 2 months. If there are several notices, then not less than 2 months of last notice. • Purpose is for any person interested to send to trustees particulars of his claim in relation to the property stated in the notice. norliza abdul hamid/october 2012 11
  • 12. • s.32(2) – When the time period is up, then trustees “may convey or distribute the property … to or among the persons entitled thereto, having regard only to the claims, …, of which the trustees …had notice…”. They then will not be liable to any person who they did not have notice at the time of distribution. Thus, trustees are protected. norliza abdul hamid/october 2012 12
  • 13. • Re Aldhous [1955], where no beneficiaries responded to the advertisement. The executor then paid estate money to the Crown. • Held: Executor not liable. • The section shall apply, regardless of any contrary provision in the trust instrument – s.32(3) norliza abdul hamid/october 2012 13
  • 14. See also : Benjamin Order • Re Benjamin [1902] 1 Ch 723. • Facts: David Benjamin left his residuary estate to all 12 children equally. However, a year before he died, one of his children had disappeared in France. • Held: In the absence of contrary evidence, the court presumed that Benjamin’s beneficiary had died. His share was to be allocated accordingly. • norliza abdul hamid/october 2012 14
  • 15. • a Court Order which presumes that a beneficiary had pre-deceased the settlor. If so, trustees can then allocate trust fund as if the beneficiary has died. The order is used in cases where the beneficiaries’ whereabouts are unknown. • If he eventually turned up, then he may trace his share from the recipients. The trustees would not be liable for breach of trust when they distributed after the court order. • However, before the order is made, the court must be satisfied that all possible / reasonable inquiries have been made to locate the beneficiaries. norliza abdul hamid/october 2012 15
  • 16. 6) DUTY TO PROVIDE INFORMATION TO BENEFICIARIES • To provide the beneficiary with complete and accurate information relating to the trust fund and also to allow them to inspect documents relating to the trust. norliza abdul hamid/october 2012 16
  • 17. • O’Rourke v Darbishire [1920] AC 581 • Lord Wrenbury: “…a beneficiary has a right of access to the documents he desires to inspect upon what has been called in the judgments in this case a proprietary right. The beneficiary is entitled to see all trust documents, because they are trust documents, and because he is a beneficiary. They are, in this sense, his own.” norliza abdul hamid/october 2012 17
  • 18. • Exceptions: (i) The right does not extend to documents which the beneficiaries have no beneficial interest. (ii) It also does not apply to documents which belong to the trustees. (iii) It also does not apply to documents which records the reasons for the trustees’ decisions eg in relation to the exercise of trustee’s discretions. norliza abdul hamid/october 2012 18
  • 19. • Re Marquess of Londonderry’s Settlements • Facts : Trustees were authorized to distribute the trust fund according to whatever proportion they think fit. One of the beneficiaries complained that she received too little. So she wanted to inspect all documents which would have stated the reason for the trustees to distribute that way. • Held: beneficiary was not allowed to do so. norliza abdul hamid/october 2012 19
  • 20. • Re Gulbenkian’s Settlement Trusts (No 1) [1970] AC 508 • Facts: Trustees were given discretion to pay or not pay income to certain beneficiaries. • Lord Reid: “They are given an absolute discretion. So if they decide in good faith at appropriate times to give none of the income to any of the beneficiaries the court cannot pronounce their reasons to be bad. And similarly if they decide to give some or all of the income to a particular beneficiary the court will not review their decision.” norliza abdul hamid/october 2012 20
  • 21. (iv) Beneficiaries have no access to confidential documents • Hartigan Nominees Pty Ltd v Rydge (1992)29 NSWLR 405 • Mahoney JA, “..there are documents and, no doubt, there is information which have been given to the trustee upon the basis that they be treated as confidential. It is not every aspect of confidentiality which need be, for the present purpose, examined … It is possible to envisage documents communicated to a trustee which, though the property of the trust, are confidential and for that reason should not be disclosed to beneficiaries. The settler may communicate confidential information about a beneficiary as a reason for not exercising a discretionary power in his favour; a beneficiary may communicate to the trustee information as to his assets which he desires to keep confidential; and information may be communicated in the context of personal family affairs the disclosure of which would be abrasive or distressing. As the judgments in the Re Londonderry case [1965] Ch 918 indicate, that is a proper reason for not requiring disclosure of documents of information which otherwise should be disclosed to a beneficiary.” norliza abdul hamid/october 2012 21
  • 22. 7) DUTY TO KEEP ACCOUNT • Required to keep and maintain accurate accounts. The accounts must be made available for the beneficiaries’ inspection on demand. • Pearse v Green (1819)1 Jac & W 135. • Plummer MR said, “the first duty of an accounting party whether an agent, trustee, a receiver or an executor … to be constantly ready with his accounts.” norliza abdul hamid/october 2012 22
  • 23. • Chan Chin Cheung v Chan Chak Cheung & Anor [2005] 1 LNS 89. Court of Appeal • Facts: The plaintiff was one of the beneficiaries of an estate. The defendants were the trustees. At all material times the defendants resided in Singapore. The plaintiff was not satisfied with the defendants ' conduct of the affairs of the estate. So he filed an action in the KL High Court to obtain an order for an investigative audit of the accounts of the estate. norliza abdul hamid/october 2012 23
  • 24. • CA Held : A trustee is obliged to render accounts of the trust property to a beneficiary. In this regard reference is made to Halsbury's Laws of Malaysia Vol 5 which says at p 720:- • "A trustee must furnish to a beneficiary, or to a person authorised by him, on demand, information or the means of obtaining information as to the mode in which the trust property or his share in it has been invested or otherwise dealt with, and as to where it is and full accounts respecting it, whether the beneficiary has a present interest in the trust property or only a contingent interest in remainder, or is only an object of a discretionary trust. If the trustee neglects or fails to do so, he is liable for the costs of proceedings to compel production of information or accounts. He must also allow a beneficiary to inspect the trust accounts and all documents relating to the trust, and has a duty to explain to a beneficiary what his rights are." norliza abdul hamid/october 2012 24
  • 25. • And at p 855: • "One of the remedies available against the personal representative of a deceased person for those seeking information about the deceased person's estate is to be supplied with an account of it. It is the imperative duty of the personal representative to keep proper accounts from the time he begins to administer the estate so as to render proper account to any beneficiary who demands the same throughout the administration of the estate." norliza abdul hamid/october 2012 25
  • 26. • there is no duty to have the accounts audited, unless there is a specific requirement under the trust instrument. • However, s.27(4) states: • “Trustees may, in their absolute discretion, from time to time, but not more than once in every year unless the nature of the trust or any special dealings with the trust property make a more frequent exercise of the right reasonable, cause the accounts of the trust property to be examined or audited by an independent accountant,…” norliza abdul hamid/october 2012 26
  • 27. • When fulfilling this duty, trustees may appoint an agent. • Wroe v Seed • Held: A trustee who was illiterate and therefore could not keep accounts himself was justified in employing an agent to keep the accounts. • • See s.28 TA 1949 – which states that as long as the act of employing the agent is done in good faith, then the trustees will not be liable for breach of duty norliza abdul hamid/october 2012 27
  • 28. 8) NON-DELEGATION OF DUTIES • The general rule is that a trustee cannot delegate his duties relating to the management of the trust to another person. • Maxim: delegates non potest delegare norliza abdul hamid/october 2012 28
  • 29. • Lord Westbury in Robson v Flight (1865) • “such trust and powers are supposed to have been committed by the [settlor] to the trustees he appoints by reason of his personal confidence in their discretion, and it would be wrong to permit them to be exercised by [another].” norliza abdul hamid/october 2012 29
  • 30. Exceptions: • Lord Radcliffe in Pilkington v IRC [1964] • “the law is not that trustees cannot delegate; it is that trustees cannot delegate unless they have authority to do so.” norliza abdul hamid/october 2012 30
  • 31. i) Delegation under s.28(1) TA 1949. • ie, delegation is allowed where to do any act or transaction in executing the trust , • eg receipt and payment of money. • If so, the agent can be paid for his charges & expenses incurred. • If the trustee did employ an agent to act for him, then the trustee is still liable to the beneficiaries. • Eg If the agent failed to perform his task and breached his duty as agent. • Unless, trustees acted in good faith – see s.28(1)“ and shall not be responsible for the default of any such agent if employed in good faith.” norliza abdul hamid/october 2012 31
  • 32. In Re Vickery [1931], the court said: (i) delegation is allowed regardless of whether “there is any real necessity for the employment” (ii) trustee should use his discretion when choosing an agent. (iii) agent should be employed only to do acts within the scope of the usual business of the agent. (iv) if any loss occur due to the employment of agent, the trustee will not be liable “unless he has been guilty of wilful misconduct.” The court referred to Re City Equitable Fire Insurance Co [1925] and said that wilful conduct means “either a consciousness of negligence or a breach of duty, or a recklessness in the performance of a duty.” norliza abdul hamid/october 2012 32
  • 33. • Courts have accepted that delegation may be necessary for commercial practicality. • Learoyd v Whiteley (1887) • per Lord Watson “...whilst trustees cannot delegate the execution of the trust, they may ... avail themselves of the service of others wherever such employment is according to the usual course of business.” norliza abdul hamid/october 2012 33
  • 34. (ii) Delegation under s.28(2) • Trustee may appoint agent to sell, convert, collect, manage or administer any movable/immovable property outside Malaysia. • “…and shall not, by reason only of their having made such appointment, be responsible for any loss arising thereby.” norliza abdul hamid/october 2012 34
  • 35. (iii) Delegation under s.28(3)(a)(i) • Trustee may appoint a solicitor as his agent eg to receive/give discharge any money/property on behalf of the trustee norliza abdul hamid/october 2012 35
  • 36. iv) Delegation under s.28(3)(a)(iii) • Trustee may appoint a banker/solicitor as agent to receive/give discharge for any money payable to trustee under an insurance policy. norliza abdul hamid/october 2012 36
  • 37. v) Delegation under s.30(1) • where trustee intends to be out of Malaysia for more than 14 days, he may delegate his power and discretion as a trustee to any person. By power of attorney. • s.30(3) – effective when trustee is out of Malaysia and revoked on his return/entry to Malaysia. • s.30(9) – valid for not longer than 3 years. norliza abdul hamid/october 2012 37
  • 38. • NOTE: • Even when delegation is allowed, the trustee can still be liable if he failed to exercise reasonable care in choosing, appointing and supervising the agent. If he failed to properly supervise the agent in performing his duty, he can still be held liable – Re Briers (1884) 26 Ch D 238. norliza abdul hamid/october 2012 38
  • 39. The End norliza abdul hamid/october 2012 39