The court ruled in favor of BAMLI and MLPFS, primarily stating that the Commission did not provide sufficient evidence to establish a connection between BAMLI and the alleged conspiracy regarding the manipulation of the USD/ZAR currency exchange. The critical component of the Commission's case was the representation by employees Gavin Cook and Mark Sheppard; however, the court found that Cook was employed by MLPFS and no evidence was presented that linked Sheppard to any discussions in the implicated chatroom.
The court emphasized that the Commission failed to meet the specificity requirements set out in a previous 2020 order regarding the necessary details for asserting a claim. Furthermore, despite allegations of linking these entities through their corporate structure, the court concluded that BAMLI's status as a peregrinus without adequate evidence linking it to the conspiracy meant that the Commission could not establish personal jurisdiction. Additionally, the court ruled that the provision cited by the Tribunal, Section 59(3)(A) of the Act, did not apply retrospectively, and the Commission had not relied upon it in their referral or joinder application.
Overall, the court relied on the principles of jurisdiction under South African law, particularly regarding the need for a clear nexus to establish personal jurisdiction over foreign entities engaged in alleged wrongful conduct.