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Summary HRL

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This document is a summary of what we have seen in the lessons of HRL.

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‭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.‬

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