High Court upholds GP suspensions despite racial discrimination claims in Agoe case
Medical tribunal's fitness to practise findings confirmed on judicial review
In Dr Belinda Agoe & Anor v General Medical Council [2025] EWHC 2075 (Admin), the High Court dismissed an appeal by two general practitioners challenging their suspension from the Medical Register following findings of impaired fitness to practise.
Background and tribunal findings
The Medical Practitioners Tribunal Service (MPTS) found that Dr Belinda Agoe and Dr Kausar Ali had obstructed the transition of patient care responsibilities, violating their professional obligations. The appellants refused to permit staff from Federated4Health—designated by NHS England to assume GP services at their practice—unfettered access to medical facilities. Additionally, they continued delivering medical services despite suspension of their registration by the Care Quality Commission.
The circumstances arose in November 2018 when the appellants refused compliance with management changes at Staunton Group Practice. Despite practice suspension, they continued operating within the Medical Centre, relying on what they believed to be a valid "caretaker" agreement that had, in fact, expired.
Discrimination allegations
Central to the appeal were allegations of racial discrimination. Both appellants contended that their treatment by the GMC reflected racial bias, particularly when compared with that of a white colleague, Dr Strommer, who faced no similar charges despite allegedly comparable circumstances. Counsel argued that the GMC's failure to pursue Dr Strommer demonstrated unlawful discrimination.
The tribunal carefully examined these allegations, finding insufficient evidence to support claims of racial bias. Crucially, the officers responsible for pursuing disciplinary action were unaware of Dr Strommer's ethnicity when making their decisions. The tribunal concluded that Dr Strommer faced no charges because no mismanagement or misconduct had been attributed to him.
High Court analysis
The High Court rejected arguments that the tribunal had made inconsistent findings or failed to address material evidence. The court found that the tribunal possessed a reasonable basis for its judgements and provided satisfactory explanations for the sanctions imposed.
The tribunal had determined that suspension was proportionate to the severity of misconduct, with different suspension lengths reflecting each appellant's respective actions. The court emphasised that the tribunal's assessment of fitness to practise was thorough and well-reasoned.
Regulatory implications
The judgement reinforces established principles of medical regulation and professional accountability. The court highlighted governance standards within medical practice as essential to maintaining public confidence in healthcare systems. The decision demonstrates that professional regulatory bodies must balance individual practitioners' rights with broader public interest considerations.
The case illustrates ongoing complexities within medical regulation where professional accountability intersects with discrimination allegations. The High Court's approach suggests that discrimination claims require substantial evidential support beyond comparative treatment arguments alone.
The dismissal of the appeal confirms that fitness to practise determinations will be upheld where tribunals demonstrate proper consideration of evidence and provide reasoned explanations for their conclusions. This reinforces the deference courts typically show to specialist regulatory tribunals' expertise in assessing professional conduct.
The ruling serves as a significant precedent for future cases involving both professional misconduct and discrimination allegations within healthcare regulation, emphasising the importance of robust evidence in supporting such claims whilst maintaining professional standards.