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Moncrieff and another v Jamieson and others

Right of way – Express grant permitting pedestrian and vehicular access to respondents’ land across appellants’ land – Parking not possible on respondents’ land – Whether right to park on servient land ancillary to right of way – Whether reasonably necessary for comfortable enjoyment of right of way – Judgment for respondents – Appeal dismissed

The respondents owned a property adjoining the third appellant’s land and situated a short distance from a property owned by the first and second appellants. The respondents’ land had no direct access to the public road system. They therefore relied upon a right of way over the third appellant’s land, which was contained in a 1973 transfer by which the then owner of both properties had disposed of the respondents’ land. It was common ground that the right included both pedestrian and vehicular traffic and the ancillary right to stop vehicles on the servient tenement for turning purposes, for the loading and unloading of goods and the picking up and setting down of passengers. The respondents claimed that the right of way also included a right to park vehicles on the servient tenement. It was not physically possible to bring vehicles onto the respondents’ property because it was located between the foot of an escarpment and the foreshore and was accessible only by boat or on foot by way of a gate and steps.

In the Scottish courts below, it was held that the right of way did include an ancillary right to park on the servient tenement. On appeal to the House, the issues were: (i) whether a right to park was ever capable of existing ancillary to a servitude of vehicular access; and (ii) if so, whether such a right existed in the particular circumstances of the case.

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