case of Othman v UK (2012) 55 EHRR 1, (involving the individual also known as Abu Qatada). Without obtaining a far clearer undertaking from the Jordanian Government, the ECtHR considered that a deportation by UK authorities would amount to a violation of the ECHR, art 6 because of [...]. This risk was seen to represent a flagrant denial of justice and its prohibition was considered to be fundamental by the ECtHR.
Answer
the real risk of evidence, which had been secured through torture, being used against the applicant in the Jordanian criminal justice system
Tags
#freedom-of-person #human-rights #public
Question
case of Othman v UK (2012) 55 EHRR 1, (involving the individual also known as Abu Qatada). Without obtaining a far clearer undertaking from the Jordanian Government, the ECtHR considered that a deportation by UK authorities would amount to a violation of the ECHR, art 6 because of [...]. This risk was seen to represent a flagrant denial of justice and its prohibition was considered to be fundamental by the ECtHR.
Answer
?
Tags
#freedom-of-person #human-rights #public
Question
case of Othman v UK (2012) 55 EHRR 1, (involving the individual also known as Abu Qatada). Without obtaining a far clearer undertaking from the Jordanian Government, the ECtHR considered that a deportation by UK authorities would amount to a violation of the ECHR, art 6 because of [...]. This risk was seen to represent a flagrant denial of justice and its prohibition was considered to be fundamental by the ECtHR.
Answer
the real risk of evidence, which had been secured through torture, being used against the applicant in the Jordanian criminal justice system
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Open it involving the individual also known as Abu Qatada). Without obtaining a far clearer undertaking from the Jordanian Government, the ECtHR considered that a deportation by UK authorities would amount to a violation of the ECHR, art 6 because of <span>the real risk of evidence, which had been secured through torture, being used against the applicant in the Jordanian criminal justice system. This risk was seen to represent a flagrant denial of justice and its prohibition was considered to be fundamental by the ECtHR.<span><body><html>
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