Case (Capacity - contact - inherent jurisdiction). NK v RK [2023] EWCOP 37

— The family sought declarations: that R lacked capacity to make decisions about contact; that R was susceptible to undue influence, and measures needed to be put into place to protect her from this; that R lacked capacity to revoke LPAs. They sought orders: under the inherent jurisdiction in relation to supporting contact between her and her family (if R did have capacity about contact); and under either the MCA or the IJ that it was in R's best interests to implement a "supportive framework" around R to encourage her to repair and maintain her relationship with her immediate and wider family and friends.
Full details available at: https://www.mentalhealthlaw.co.uk/NK_v_RK_(2023)_EWCOP_37?id=240823-2100