Using a right of way only a few times a year and only on a seasonal basis does not necessarily result in a finding that the use is not continuous for purposes of establishing a right of way. The acts necessary to establish continuous use depend on the type of property. For some types of property, such as a cottage property, as in this case, seasonal and weekend use is consistent with the type of continuous use an owner would make of the property, and the use therefore satisfies the criterion of continuous use: Barbour v. Bailey, 2016 ONCA 98, 345 O.A.C. 311, at para. 83.
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