CASES Human Rights Law
CASE 1 : CASE OF X AND Y v. THE NETHERLANDS (week 1)
1. the name of the relevant case and the main relevant facts,
● Case Name: X and Y v. The Netherlands
● Main Facts:The case involved a mentally handicappedgirl, Y, who was sexually assaulted by
B, the son-in-law of the director of the institution where she was residing. The Dutch legal
system did not provide an effective remedy for criminal prosecution because, under the
existing law, Y could not file a complaint herself, and her father, X, was not legally allowed to
file it on her behalf.
2. the relevant article(s) (inside the scope, interference or not, and violation or not?),
● Article 8 of the ECHR(Right to respect for privateand family life): The Court found a
violation, as the inability to prosecute B effectively deprived Y of protection for her private
life.
● Scope and Interference:The Court confirmed that sexualintegrity is part of the "private life"
protected under Article 8. There was interference because the Dutch legal system failed to
provide the necessary legal protection.
● Violation: Yes, there was a violation of Article 8,as the lack of legal provisions to address Y's
situation left her without adequate protection.
3. the relevant steps the ECtHR takes to come to its judgement (STEPS I, II and III),
● Step I: Applicability of the Article: The Court foundthat Article 8 was applicable as the case
concerned a matter of private life, which includes physical and moral integrity.
● Step II:Whether There Was an Interference: The Courtdetermined that the lack of an
effective criminal remedy constituted a failure to ensure respect for Y's private life.
● Step III:Justification for the Interference: TheCourt noted that while states have a margin of
appreciation in implementing legal measures, the Dutch system's failure to provide effective
criminal law protection in this case was not justified.
4. possible justification ground(s) (incl. limitative list of legitimate purposes (yes/no),
● The Dutch government argued that civil remedies were available; however, the Court found
these to be inadequate for protecting fundamental values such as sexual integrity.
● Limitative List of Legitimate Purposes:The case didnot hinge on one of the legitimate aims
explicitly listed in Article 8(2), but rather on the state's obligation to provide positive
protection of rights
, 5. proportionality and ‘pressing social need’, etc.),
● Proportionality and 'Pressing Social Need':The Courtconcluded that there was a pressing
social need to have criminal law provisions capable of addressing the kind of situation Y
faced.
6. the general rule of law and the legal effects of the relevant case,
● Rule of Law: States must provide effective legal protectionto ensure respect for private life,
including measures that deter acts infringing on physical integrity.
● Legal Effects: This case emphasized the importanceof states fulfilling positive obligations
under the ECHR and the need for comprehensive criminal law frameworks to protect
vulnerable individuals.
7. the relevant main principles/key terminology of ECHR law (f.i. absolute right (or: not),
positive/negative obligation, horizontal/vertical effect, margin of appreciation,
proportionality, pressing social need, ‘fair/proper balance’ and real risk, etc.),
● Positive Obligation: The state had a duty to protectY’s rights through effective legislation.
● Margin of Appreciation: While states have discretionin implementing measures, it is not
unlimited when it comes to fundamental rights like physical integrity.
● Proportionality: The response of the Dutch legal systemwas deemed disproportionate
because it failed to provide adequate protection.
● Horizontal Effect:This case demonstrates the state'sresponsibility to protect individuals
from violations by private parties.
8. if an obligation to respect, protect and/or fulfill rests on the High Contracting Party,
● The case established apositive obligationon thestate to protect the rights of individuals
under Article 8, especially when vulnerable groups (such as mentally handicapped
individuals) are involved.
9. the relevant case to similar case(s) law and explain clear similarities/differences in your own
words.
● Airey v. Ireland:Involved positive obligations toprovide access to effective remedies.
● E.S. v. Austria: Also dealt with the state’s positiveduty to protect individuals from violations
by third parties.
These cases share similarities in how the ECtHR assesses the state's duty to protect individuals
against violations of their rights and underscores the Court's role in ensuring states provide
adequate legal protections.
,CASE 2: CASE HANDYSIDE v. THE UNITED KINGDOM (week 1)
1. the name of the relevant case and the main relevant facts,
● Case Name:Handyside v. The United Kingdom (Applicationno. 5493/72)
● Main Facts:The case involved the publication of "TheLittle Red Schoolbook" by Mr.
Handyside, a publisher in the UK. The book contained controversial material regarding sex
and drug use aimed at adolescents. The British authorities seized the book and prosecuted
Handyside under the Obscene Publications Act, arguing that the book could corrupt and
deprave young readers. Handyside contended that the seizure and penalties infringed upon
his right to freedom of expression under Article 10 of the European Convention on Human
Rights (ECHR).
2. the relevant article(s) (inside the scope, interference or not, and violation or not?),
● Article 10 of the ECHR (Freedom of expression):Theright to freedom of expression is
protected under this Article, but it is not absolute. Interferences may be justified under
certain conditions.
● Scope and Interference:The Court acknowledged thatthe seizure of the book constituted
an interference with Handyside's right to freedom of expression.
● Violation:The Court found no violation of Article10, holding that the interference was
justified under the limitations allowed by Article 10(2), which permits restrictions necessary in
a democratic society for protecting morals, especially for young people.
3. the relevant steps the ECtHR takes to come to its judgement (STEPS I, II and III),
● Step I:Applicability of the Article: Article 10 wasapplicable because the case involved
restrictions on the freedom of expression.
● Step II:Whether There Was an Interference: The Courtconcluded that the actions taken by
the UK authorities (seizing the book and prosecuting Handyside) constituted an
interference with freedom of expression.
● Step III:Justification for the Interference: TheCourt assessed whether the interference was
"prescribed by law," pursued a legitimate aim (protection of morals), and was "necessary in a
democratic society." It found that the UK had acted within its margin of appreciation in
determining the need to protect children from potentially harmful content.
4. possible justification ground(s) (incl. limitative list of legitimate purposes (yes/no),
proportionality and ‘pressing social need’, etc.),
, ● Legitimate Purpose:The interference aimed to protect public morals, which is one of the
legitimate grounds for restricting freedom of expression under Article 10(2).
● Proportionality and 'Pressing Social Need':The Courtconsidered whether the measures
taken were proportionate to the legitimate aim pursued. It concluded that there was a
"pressing social need" to protect children from material considered harmful by national
authorities.
● Margin of Appreciation:The Court granted a broadmargin of appreciation to the UK,
acknowledging that national authorities are better placed to assess the necessity of such
measures, particularly in the domain of public morals.
5. the general rule of law and the legal effects of the relevant case,
● Rule of Law:The case established the principle thatfreedom of expression can be limited to
protect public morals, especially concerning content accessible to children.
● Legal Effects:It highlighted the "margin of appreciation"doctrine, giving states some leeway
in restricting rights when balancing competing interests like freedom of expression and
protection of public morals.
6. the relevant main principles/key terminology of ECHR law (f.i. absolute right (or: not),
positive/negative obligation, horizontal/vertical effect, margin of appreciation,
proportionality, pressing social need, ‘fair/proper balance’ and real risk, etc.),
● Margin of Appreciation:The case reinforced the conceptthat states have discretion in
restricting rights to account for cultural and moral standards.
● Proportionality:The Court examined whether the measurestaken were appropriate and
necessary to achieve the intended goal of protecting morals.
● Pressing Social Need:The need to protect childrenfrom potentially corrupting influences
was considered a pressing social concern, justifying the interference.
● Qualified Right:Article 10 is a qualified right,meaning it allows for restrictions under specific
conditions, unlike absolute rights.
7. if an obligation to respect, protect and/or fulfill rests on the High Contracting Party,
● The state did not have a positive obligation in this case but rather exercised anegative
obligationto avoid unwarranted restrictions. TheCourt found that the UK did not overstep
this obligation when balancing theprotectionof publicmorals with freedom of expression.
8. the relevant case to similar case(s) law and explain clear similarities/differences in your own
words.
CASE 1 : CASE OF X AND Y v. THE NETHERLANDS (week 1)
1. the name of the relevant case and the main relevant facts,
● Case Name: X and Y v. The Netherlands
● Main Facts:The case involved a mentally handicappedgirl, Y, who was sexually assaulted by
B, the son-in-law of the director of the institution where she was residing. The Dutch legal
system did not provide an effective remedy for criminal prosecution because, under the
existing law, Y could not file a complaint herself, and her father, X, was not legally allowed to
file it on her behalf.
2. the relevant article(s) (inside the scope, interference or not, and violation or not?),
● Article 8 of the ECHR(Right to respect for privateand family life): The Court found a
violation, as the inability to prosecute B effectively deprived Y of protection for her private
life.
● Scope and Interference:The Court confirmed that sexualintegrity is part of the "private life"
protected under Article 8. There was interference because the Dutch legal system failed to
provide the necessary legal protection.
● Violation: Yes, there was a violation of Article 8,as the lack of legal provisions to address Y's
situation left her without adequate protection.
3. the relevant steps the ECtHR takes to come to its judgement (STEPS I, II and III),
● Step I: Applicability of the Article: The Court foundthat Article 8 was applicable as the case
concerned a matter of private life, which includes physical and moral integrity.
● Step II:Whether There Was an Interference: The Courtdetermined that the lack of an
effective criminal remedy constituted a failure to ensure respect for Y's private life.
● Step III:Justification for the Interference: TheCourt noted that while states have a margin of
appreciation in implementing legal measures, the Dutch system's failure to provide effective
criminal law protection in this case was not justified.
4. possible justification ground(s) (incl. limitative list of legitimate purposes (yes/no),
● The Dutch government argued that civil remedies were available; however, the Court found
these to be inadequate for protecting fundamental values such as sexual integrity.
● Limitative List of Legitimate Purposes:The case didnot hinge on one of the legitimate aims
explicitly listed in Article 8(2), but rather on the state's obligation to provide positive
protection of rights
, 5. proportionality and ‘pressing social need’, etc.),
● Proportionality and 'Pressing Social Need':The Courtconcluded that there was a pressing
social need to have criminal law provisions capable of addressing the kind of situation Y
faced.
6. the general rule of law and the legal effects of the relevant case,
● Rule of Law: States must provide effective legal protectionto ensure respect for private life,
including measures that deter acts infringing on physical integrity.
● Legal Effects: This case emphasized the importanceof states fulfilling positive obligations
under the ECHR and the need for comprehensive criminal law frameworks to protect
vulnerable individuals.
7. the relevant main principles/key terminology of ECHR law (f.i. absolute right (or: not),
positive/negative obligation, horizontal/vertical effect, margin of appreciation,
proportionality, pressing social need, ‘fair/proper balance’ and real risk, etc.),
● Positive Obligation: The state had a duty to protectY’s rights through effective legislation.
● Margin of Appreciation: While states have discretionin implementing measures, it is not
unlimited when it comes to fundamental rights like physical integrity.
● Proportionality: The response of the Dutch legal systemwas deemed disproportionate
because it failed to provide adequate protection.
● Horizontal Effect:This case demonstrates the state'sresponsibility to protect individuals
from violations by private parties.
8. if an obligation to respect, protect and/or fulfill rests on the High Contracting Party,
● The case established apositive obligationon thestate to protect the rights of individuals
under Article 8, especially when vulnerable groups (such as mentally handicapped
individuals) are involved.
9. the relevant case to similar case(s) law and explain clear similarities/differences in your own
words.
● Airey v. Ireland:Involved positive obligations toprovide access to effective remedies.
● E.S. v. Austria: Also dealt with the state’s positiveduty to protect individuals from violations
by third parties.
These cases share similarities in how the ECtHR assesses the state's duty to protect individuals
against violations of their rights and underscores the Court's role in ensuring states provide
adequate legal protections.
,CASE 2: CASE HANDYSIDE v. THE UNITED KINGDOM (week 1)
1. the name of the relevant case and the main relevant facts,
● Case Name:Handyside v. The United Kingdom (Applicationno. 5493/72)
● Main Facts:The case involved the publication of "TheLittle Red Schoolbook" by Mr.
Handyside, a publisher in the UK. The book contained controversial material regarding sex
and drug use aimed at adolescents. The British authorities seized the book and prosecuted
Handyside under the Obscene Publications Act, arguing that the book could corrupt and
deprave young readers. Handyside contended that the seizure and penalties infringed upon
his right to freedom of expression under Article 10 of the European Convention on Human
Rights (ECHR).
2. the relevant article(s) (inside the scope, interference or not, and violation or not?),
● Article 10 of the ECHR (Freedom of expression):Theright to freedom of expression is
protected under this Article, but it is not absolute. Interferences may be justified under
certain conditions.
● Scope and Interference:The Court acknowledged thatthe seizure of the book constituted
an interference with Handyside's right to freedom of expression.
● Violation:The Court found no violation of Article10, holding that the interference was
justified under the limitations allowed by Article 10(2), which permits restrictions necessary in
a democratic society for protecting morals, especially for young people.
3. the relevant steps the ECtHR takes to come to its judgement (STEPS I, II and III),
● Step I:Applicability of the Article: Article 10 wasapplicable because the case involved
restrictions on the freedom of expression.
● Step II:Whether There Was an Interference: The Courtconcluded that the actions taken by
the UK authorities (seizing the book and prosecuting Handyside) constituted an
interference with freedom of expression.
● Step III:Justification for the Interference: TheCourt assessed whether the interference was
"prescribed by law," pursued a legitimate aim (protection of morals), and was "necessary in a
democratic society." It found that the UK had acted within its margin of appreciation in
determining the need to protect children from potentially harmful content.
4. possible justification ground(s) (incl. limitative list of legitimate purposes (yes/no),
proportionality and ‘pressing social need’, etc.),
, ● Legitimate Purpose:The interference aimed to protect public morals, which is one of the
legitimate grounds for restricting freedom of expression under Article 10(2).
● Proportionality and 'Pressing Social Need':The Courtconsidered whether the measures
taken were proportionate to the legitimate aim pursued. It concluded that there was a
"pressing social need" to protect children from material considered harmful by national
authorities.
● Margin of Appreciation:The Court granted a broadmargin of appreciation to the UK,
acknowledging that national authorities are better placed to assess the necessity of such
measures, particularly in the domain of public morals.
5. the general rule of law and the legal effects of the relevant case,
● Rule of Law:The case established the principle thatfreedom of expression can be limited to
protect public morals, especially concerning content accessible to children.
● Legal Effects:It highlighted the "margin of appreciation"doctrine, giving states some leeway
in restricting rights when balancing competing interests like freedom of expression and
protection of public morals.
6. the relevant main principles/key terminology of ECHR law (f.i. absolute right (or: not),
positive/negative obligation, horizontal/vertical effect, margin of appreciation,
proportionality, pressing social need, ‘fair/proper balance’ and real risk, etc.),
● Margin of Appreciation:The case reinforced the conceptthat states have discretion in
restricting rights to account for cultural and moral standards.
● Proportionality:The Court examined whether the measurestaken were appropriate and
necessary to achieve the intended goal of protecting morals.
● Pressing Social Need:The need to protect childrenfrom potentially corrupting influences
was considered a pressing social concern, justifying the interference.
● Qualified Right:Article 10 is a qualified right,meaning it allows for restrictions under specific
conditions, unlike absolute rights.
7. if an obligation to respect, protect and/or fulfill rests on the High Contracting Party,
● The state did not have a positive obligation in this case but rather exercised anegative
obligationto avoid unwarranted restrictions. TheCourt found that the UK did not overstep
this obligation when balancing theprotectionof publicmorals with freedom of expression.
8. the relevant case to similar case(s) law and explain clear similarities/differences in your own
words.