The issue was whether the eviction of the plaintiff from her house was a result of any wrongful and/or fraudulent order by the defendant.
The plaintiff's suit was founded on the tort of misfeasance in public office. The tort of misfeasance in public office had two forms, namely (i) cases where a public power was exercised for an improper purpose with the specific intention of injuring a person or persons, and (ii) cases where a public officer acted in the knowledge that he had no power to do the act complained of and that it would probably injure the claimant
The court held that the plaintiff had to prove that the first defendant exercised his power in execution of the decree in the matter for an improper purpose with the specific intention of causing injury to the plaintiff.
The plaintiff however, as held by the court, failed to discharge her burden of proof required of her that the first defendant made any wrongful or fraudulent order resulting into evection of the plaintiff from her house in execution of a decree in case. Simply stated, the evidence led by the plaintiff was too insufficient to discharge a burden of proof on the tort of misfeasance in public office.
In the result, the plaintiff's evidence alleging fraudulent acts fell short of the standard required and the suit was dismissed.