📍 Mississauga, Ontario
Landlord applied for eviction based on substantial interference with reasonable enjoyment.
Hearing proceeded without tenants' presence.
Application to amend for damage claims was denied.
Tenant's ex parte submissions were not considered.
Second N5 notice was invalid; application amended to rely on first N5 notice.
Eviction order granted based on first N5 notice.
Tenant's behavior during remedy period led to eviction.
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This LTB order for Dipanwita Das Tuhin Mathur shows how landlord-tenant disputes arise in Ontario. Many can be prevented through proper tenant screening, verified rental history, and strong lease agreements.
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