Edgerton v Edgerton & Anor [2012] EWCA Civ 181 (24 February 2012)

The CA considered a very unusual course of events in ancillary relief where the question of the interests of a third party had been settled by consent between the Husband and the Third party in an order made in the Chancery division. The court considered the inter-relation of the orders made within the Family and Chancery Division. The CA determined the Chancery Order to be currently binding but made directions for the wife to challenge this and upheld orders freezing the assets in the interim.