BUCHLEITHER v. GERMANY - 20106/13 (Judgment (Merits and Just Satisfaction) : Court (Fifth Section)) [2016] ECHR 399 (28 April 2016)

BUCHLEITHER v. GERMANY - 20106/13 (Judgment (Merits and Just Satisfaction) : Court (Fifth Section)) [2016] ECHR 399 (28 April 2016)

The indefinite suspension of contact was based on the child’s welfare and the circumstances of parental conflict. Although the decision lacked a time-limit and explicit provision for review, procedural safeguards existed under domestic law allowing for review at reasonable intervals and the possibility for the...

Source-derived case information.

Citation
[2016] ECHR 399
Parties
Applicant: Lucian Buchleither; Respondent: Federal Republic of Germany
Jurisdiction
European Union
Procedural Posture
Application to the European Court of Human Rights / Judgment After Full Hearing
Outcome
No violation of Article 8 of the Convention found by majority decision.
Legal Topics
Right to Respect for Family Life, Parental Contact Rights, Best Interests of the Child, Procedural Safeguards in Family Law, Margin of Appreciation
Human Rights Law Family Law Right to Respect for Family Life Parental Contact Rights Best Interests of the Child Procedural Safeguards in Family Law Margin of Appreciation

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 2 Authorities cited 16 Party arguments 2
Sign in to unlock

Parties

Lucian Buchleither

Applicant

Federal Republic of Germany

Respondent

Procedural Posture

Application to the European Court of Human Rights / Judgment After Full Hearing

  1. 1 Whether the indefinite suspension of contact between the applicant and his daughter violated Article 8 of the European Convention on Human Rights

Ratio Decidendi

The indefinite suspension of contact was based on the child’s welfare and the circumstances of parental conflict. Although the decision lacked a time-limit and explicit provision for review, procedural safeguards existed under domestic law allowing for review at reasonable intervals and the possibility for the applicant to propose new proceedings. The decision did not overstep the margin of appreciation afforded to domestic courts and was considered necessary in a democratic society. Accordingly, there was no violation of Article 8.

Court Disposition

No violation of Article 8 of the Convention found by majority decision.