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Main-Line Corporate Holdings Ltd v United Overseas Bank Ltd and another (First Currency Choice Pte Ltd, third party) [2011] SGHC 268
[2011] SGHC 268
General Division of the High Court of Singapore20 Dec 2011Suit No 806 of 2004, Summons No 3805 & 3876 of 2010 and 978 & 1232 of 2011
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Cited in 2 later decisions. No negative treatment detected.
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“As stated in Bosch Corp at [10] and Main-Line Corporate Holdings Ltd v United Overseas Bank Ltd [2011] SGHC 268 at [23] and [25], the profits that are accountable can be reduced in two ways - first, by deducting costs and expenses from receipts and, second, by apportionment of profits if the profits are genera”
“cerned with the profits (ie, all financial gains) actually made by the tortfeasor (Main-Line Corporate Holdings Ltd v United Overseas Bank Ltd and another (First Currency Choice Pte Ltd, third party) [2011] SGHC 268 (“Main-Line”) at [23]). However, it is not uncommon that a claimant may experience difficulties adducing”
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Judgment Header
Main-Line Corporate Holdings Ltd v United Overseas Bank Ltd and another (First Currency Choice Pte Ltd, third party) [2011] SGHC 268
Case Metadata
Case No: Suit No 806 of 2004, Summons No 3805 & 3876 of 2010 and 978 & 1232 of 2011
Case Metadata
Court: General Division of the High Court of Singapore
Case Metadata
Decision Date: 2011-12-20
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