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Re Shaw [1957] 1 WLR 729 (Ch)

ResourcesRe Shaw [1957] 1 WLR 729 (Ch)

Facts

  • George Bernard Shaw’s will instructed trustees to allocate funds for the development and implementation of a new alphabet system, assigning a letter to each phonetic sound.
  • The will specified financial provision for the alphabet’s creation, the transliteration and publication of Shaw’s literary works using this alphabet, and dissemination of the alphabet to the public.
  • Shaw’s intention was to encourage a more efficient and rational writing system by practical demonstration, hoping for public adoption.
  • The court was required to determine if this project constituted a charitable purpose, thereby affecting the administration of the estate and disbursement of assets.
  • Judicial scrutiny focused on the specific actions proposed by Shaw and whether the trust conferred an objective benefit on the public.

Issues

  1. Whether a trust to advance, develop, and disseminate a new alphabet system qualified as charitable under the law.
  2. Whether the trust purpose satisfied the legal definition of education for charitable status.
  3. Whether the proposed trust provided a recognized public benefit or general utility.
  4. Whether the trust’s aims rendered it political or propagandist, thus precluding charitable classification.

Decision

  • The High Court (Harman J) held that the trust established by Bernard Shaw was not charitable.
  • The court found that merely increasing knowledge did not satisfy the legal requirement for an educational purpose; there was no sufficient element of teaching or instruction.
  • The project was characterized as propaganda, aiming to persuade rather than to instruct or educate the public.
  • The court determined that the trust did not provide objective general utility, as its benefit was controversial and relied on persuasion rather than established public good.
  • The trust was further deemed political in nature, analogous to trusts for propaganda or advertisement, and thus not eligible for charitable status.
  • To qualify as charitable in education, a trust must include actual instruction or teaching, not simply an increase in knowledge.
  • Charitable trusts must confer a clear, objective, and widely recognized public benefit (general utility); controversy and the need for propaganda indicate non-charitable status.
  • The spread of ideas that are propagandist or political, or require persuasion of the public, will generally preclude a trust’s classification as charitable.
  • The subjective belief of the testator in the benefit of the trust is insufficient without objective demonstration of public benefit.

Conclusion

The court in Re Shaw [1957] 1 WLR 729 established that a trust intended to advance a new alphabet by research and dissemination was not charitable, as it lacked a genuine educational purpose, objective public benefit, and was both propagandist and political in nature. This precedent clarified the rigorous requirements for a trust to be recognized as charitable under English law.

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