MCGLINCHEY AND OTHERS v. THE UNITED KINGDOM - 50390/99 [2003] ECHR 211 (29 April 2003)

MCGLINCHEY AND OTHERS v. THE UNITED KINGDOM - 50390/99 [2003] ECHR 211 (29 April 2003)

The prison authorities failed to provide adequate medical care and monitoring for Judith McGlinchey, resulting in distress, suffering, and serious health risks, thereby breaching Article 3. No effective remedy existed under English law for non-pecuniary damage arising from this breach, violating Article 13.

Source-derived case information.

Citation
[2003] ECHR 211
Parties
Applicant: Andrew George McGlinchey; Applicant: Natalie Jane Best; Applicant: Hilary Davenport; Respondent: United Kingdom of Great Britain and Northern Ireland
Jurisdiction
European Union
Procedural Posture
Application to European Court of Human Rights / Final Judgment
Outcome
Violation of Article 3 and Article 13 found; compensation awarded.
Legal Topics
Article 3 ECHR (inhuman or Degrading Treatment), Article 13 ECHR (effective Remedy), Medical Care in Detention, Compensation for Non Pecuniary Damage
Human Rights Law Prison Law Medical Law Article 3 ECHR (inhuman or Degrading Treatment) Article 13 ECHR (effective Remedy) Medical Care in Detention Compensation for Non Pecuniary Damage

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Downloadable case file Legal principles 3 Authorities cited 12 Party arguments 2 Amounts and remedies 2
Sign in to unlock

Parties

Andrew George McGlinchey

Applicant

Natalie Jane Best

Applicant

Hilary Davenport

Applicant

United Kingdom of Great Britain and Northern Ireland

Respondent

Procedural Posture

Application to European Court of Human Rights / Final Judgment

  1. 1 Whether the treatment of Judith McGlinchey in prison amounted to inhuman or degrading treatment under Article 3 of the Convention
  2. 2 Whether there was an effective remedy available for the breach of Article 3 as required by Article 13 of the Convention

Ratio Decidendi

The prison authorities failed to provide adequate medical care and monitoring for Judith McGlinchey, resulting in distress, suffering, and serious health risks, thereby breaching Article 3. No effective remedy existed under English law for non-pecuniary damage arising from this breach, violating Article 13.

Court Disposition

Violation of Article 3 and Article 13 found; compensation awarded.

Orders

  • Respondent State to pay EUR 22,900 in respect of non-pecuniary damage to applicants (Judith McGlinchey's estate and applicants)
  • Respondent State to pay EUR 7,500 in respect of costs and expenses