For instance, pluralism and respect for others of a different religion (never implying, of course, some kind of «
equal status» between conflicting religious truth
claims).
Applying the common - law «interest stops rule» normally applied in Bankruptcy and Insolvency Act proceedings, Justice Newbould ruled that post-filing interest was not payable on the Crossover Bonds.5 Justice Newbould began his reasons with reference to the «fundamental tenet of insolvency law that all debts shall be pari passu and all unsecured creditors [shall] receive
equal treatment».6 Justice Newbould found that the
status quo with respect to unsecured creditors should be maintained as at the date of Nortel's filing and that to permit certain
claims to grow disproportionately to others during the CCAA stay period would violate the
status quo.