TOLSTOY MILOSLAVSKY v. THE UNITED KINGDOM - 18139/91 - Chamber Judgment [1995] ECHR 25 (13 July 1995)

TOLSTOY MILOSLAVSKY v. THE UNITED KINGDOM - 18139/91 - Chamber Judgment [1995] ECHR 25 (13 July 1995)

The Court found that while the award of damages was 'prescribed by law' and pursued a legitimate aim, the size of the award (£1,500,000) was disproportionate and not 'necessary in a democratic society' due to insufficient judicial control and lack of proportionality safeguards in English law at the time. The...

Source-derived case information.

Citation
[1995] ECHR 25
Parties
Applicant: Count Nikolai Tolstoy Miloslavsky; Respondent: United Kingdom of Great Britain and Northern Ireland
Jurisdiction
European Union
Procedural Posture
Application to the European Court of Human Rights / Judgment After Referral by the Commission
Outcome
Violation of Article 10 (freedom of expression) due to disproportionate damages award; no violation of Article 6 (right to fair trial/access to court)
Legal Topics
Freedom of Expression, Right to Fair Trial, Damages in Defamation, Proportionality, Access to Court
Human Rights Law Defamation Law Civil Procedure Freedom of Expression Right to Fair Trial Damages in Defamation Proportionality Access to Court

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Parties

Count Nikolai Tolstoy Miloslavsky

Applicant

United Kingdom of Great Britain and Northern Ireland

Respondent

Procedural Posture

Application to the European Court of Human Rights / Judgment After Referral by the Commission

  1. 1 Whether the award of £1,500,000 in libel damages and the related injunction violated Article 10 (freedom of expression) of the European Convention on Human Rights
  2. 2 Whether the requirement to provide security for costs as a condition of appeal violated Article 6 (right to a fair trial)

Ratio Decidendi

The Court found that while the award of damages was 'prescribed by law' and pursued a legitimate aim, the size of the award (£1,500,000) was disproportionate and not 'necessary in a democratic society' due to insufficient judicial control and lack of proportionality safeguards in English law at the time. The injunction was not found to be disproportionate. There was no violation of Article 6 regarding access to court.

Court Disposition

Violation of Article 10 (freedom of expression) due to disproportionate damages award; no violation of Article 6 (right to fair trial/access to court)

Orders

  • The United Kingdom is found to have violated Article 10 of the Convention by the excessive damages award.
  • No violation found regarding Article 6 and access to court.