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An LLP was entitled to sue for misrepresentations made during negotiations for a lease before the LLP was formed.

The Supreme Court decision in the Scottish case Cramaso LLP v Ogilvie-Grant, Earl of Seafield [2014] UKSC 9; [2014] PLSCS 49 highlights that the law is capable, in appropriate circumstances, of imposing continuing responsibility for pre-contractual representations made by a representor, even though there is an interval of time between a representation and the conclusion of a contract in reliance upon it. The case also addresses the question of whether a representation is capable of continuing following a change in the identity of one of the parties – a point that was not dealt with in any of the authorities cited to the court.


The case concerned a grouse moor at Castle Grant. During the course of negotiations for a lease, the landowner provided information about grouse counts carried out on the moor and the estimated grouse population of the moor, which was extrapolated from the counts. Unfortunately, the areas of the moor in which the counts were made were not representative of the whole. Consequently, the estimated grouse population was well in excess of the actual population.

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