The trial court determined that both the Bonds’ improvements and the other property owners’ improvements were approved by the Board, albeit some impliedly. In addition, the court denied both parties’ requests for injunctive relief and dissolved the initial temporary restraining order granted against the Bonds.
On appeal, the court looked at the Horizontal Property Act and stated that the bylaws and covenants should be strictly enforced. Included in the right to enforce, is the ability to seek an injunction requiring the property owner to repair or remove improvements made in violation of the association’s restrictive covenants.
In deciding whether or not to issue an injunction, the court will balance the equities involved to ensure that great detriment will not fall on one party with only minor benefit to the other. The court held that although there had been alterations made in violations of the covenants in the past, they were non-structural and were made to the limited common areas. In contrast, the Bonds’ vast improvements were structural in nature and encroached on general common areas of the association.
Property owner acquiescence toward the minor alterations in violation of the covenants did not equate to an overall waiver of the right to enforce the covenants. The court issued an injunction against the Bonds requiring them to remove the improvements, and also found that the Bonds’ action against the other property owners was barred by the doctrine of laches because they sat on this right for such an extended period of time.
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