Introduction
This essay examines the landmark case of Donoghue v Stevenson [1932] AC 562, a foundational decision in the development of the law of negligence in the United Kingdom. Often regarded as the origin of the modern duty of care principle, this case fundamentally shaped tort law by establishing liability for harm caused by negligence even in the absence of a contractual relationship. The purpose of this essay is to provide a detailed overview of the facts, issues, decision, and outcome of the case, followed by a critical analysis of its implications. Additionally, it addresses frequently asked questions (FAQs) to clarify common uncertainties. Through this structure, the essay aims to demonstrate a sound understanding of the legal principles at play while acknowledging the broader relevance and limitations of the judgment.
Facts of the Case
The facts of Donoghue v Stevenson are both straightforward and significant. On 26 August 1928, Mrs. May Donoghue visited a café in Paisley, Scotland, where a friend purchased her a bottle of ginger beer manufactured by David Stevenson. The bottle, being opaque, concealed its contents. Upon consuming part of the drink, Mrs. Donoghue discovered the decomposed remains of a snail, which caused her to suffer from shock and gastroenteritis. As she had no contractual relationship with the manufacturer (the drink having been bought by her friend), she could not sue under contract law. Instead, she pursued a claim against Stevenson, alleging negligence in the production process that led to her harm.
Issues
The central issue in the case was whether a manufacturer owed a duty of care to the ultimate consumer of their product, particularly when no contractual relationship existed between them. At the time, the law of negligence was narrowly construed, with liability typically confined to parties in direct contractual agreements or specific relationships. The question, therefore, was whether Stevenson could be held liable for the harm caused to Donoghue, despite the lack of privity of contract.
Decision and Outcome
The House of Lords, in a majority decision of 3:2, ruled in favour of Mrs. Donoghue. Lord Atkin delivered the leading judgment, famously articulating the ‘neighbour principle.’ He stated that one must take reasonable care to avoid acts or omissions that could foreseeably harm those who are closely and directly affected—essentially, one’s ‘neighbours’ in a legal sense (Atkin, 1932). Consequently, Stevenson was found to owe a duty of care to Donoghue as the end consumer of his product. The decision established that manufacturers could be liable for negligence if their failure to exercise reasonable care resulted in harm to consumers.
Analysis
The significance of Donoghue v Stevenson cannot be overstated. It marked a pivotal shift in tort law by expanding the scope of negligence beyond contractual relationships, thereby providing a remedy for individuals harmed by defective products. Lord Atkin’s neighbour principle laid the groundwork for the modern duty of care, which remains a cornerstone of negligence law today (MacQueen and Thomson, 2016). However, the decision is not without limitations. The principle, while broad, requires careful application to avoid imposing unreasonable burdens on manufacturers. Furthermore, the case did not fully address how foreseeability and proximity should be determined in complex scenarios, leaving room for judicial interpretation in subsequent cases.
Arguably, the ruling prioritised consumer protection, reflecting a growing societal concern for safety in the early 20th century. Yet, critics might contend that it introduced uncertainty into commercial practices, as manufacturers could not predict the full extent of their liabilities. Indeed, the balance between accountability and economic practicality remains a point of debate in modern product liability law.
Frequently Asked Questions (FAQs)
One common question is whether the neighbour principle applies universally. Generally, it serves as a guiding framework but is subject to limitations based on policy considerations and specific contexts, as later cases like Caparo Industries plc v Dickman [1990] have shown. Another frequent query concerns whether Donoghue received compensation. While the House of Lords allowed her claim to proceed, the case was ultimately settled out of court, and the exact outcome remains unclear (MacQueen and Thomson, 2016). These FAQs highlight the case’s enduring relevance and the need for ongoing clarification in negligence law.
Conclusion
In summary, Donoghue v Stevenson [1932] is a seminal case that introduced the duty of care concept through Lord Atkin’s neighbour principle, fundamentally altering the landscape of tort law. By establishing manufacturer liability to consumers, it prioritised public safety while setting a precedent for future negligence claims. However, its broad application continues to pose challenges in defining the boundaries of duty and foreseeability. The case remains a critical study for law students, illustrating both the power of judicial innovation and the complexities of legal principles in practice. Its implications resonate in modern consumer protection and tort law, underscoring the need for balanced and context-specific interpretations.
References
- Atkin, Lord. (1932) Donoghue v Stevenson [1932] AC 562. House of Lords.
- MacQueen, H.L. and Thomson, J.M. (2016) Contract Law in Scotland. 4th edn. Bloomsbury Publishing.

