The court found that the Plaintiff failed to establish a prima facie case with a probability of success. The documentary evidence showed that the subdivision and transfer of the disputed parcels occurred during the lifetime of Njer Ogada Wadhare, contrary to the Plaintiff's allegations of posthumous fraudulent dealings. The Plaintiff did not provide documentary proof that the deceased held the land as a trustee for him. Furthermore, the Plaintiff's occupation of the property was permissive, having been allowed by a previous registered proprietor, and not as of right. The court concluded that the Plaintiff did not meet the threshold for the grant of a temporary injunction as set out in Giella v Cassman Brown & Co Ltd. Consequently, the application for a temporary injunction was dismissed with costs to the 2nd and 3rd Defendants.