YAM v. THE UNITED KINGDOM - 31295/11 (Judgment : Remainder inadmissible : First Section) [2020] ECHR 41 (16 January 2020)

YAM v. THE UNITED KINGDOM - 31295/11 (Judgment : Remainder inadmissible : First Section) [2020] ECHR 41 (16 January 2020)

The decision to hold part of the trial in camera was justified by national security, subject to rigorous and independent judicial review with full involvement of the applicant, and limited in scope. The applicant's ability to cross-examine witnesses was not impaired, and the proceedings as a whole were fair. The...

Source-derived case information.

Citation
[2020] ECHR 41
Parties
Applicant: Mr Wang Yam; Respondent: United Kingdom of Great Britain and Northern Ireland
Jurisdiction
European Union
Procedural Posture
Application Under Article 34 of the European Convention on Human Rights / Judgment After Full Chamber Hearing
Outcome
Application partly admissible; no violation found
Legal Topics
Right to a Fair Trial, Public Hearing, National Security, In Camera Proceedings, Disclosure, Right of Individual Petition
Criminal Law Human Rights Law Constitutional Law Right to a Fair Trial Public Hearing National Security In Camera Proceedings Disclosure +1 more

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Parties

Mr Wang Yam

Applicant

United Kingdom of Great Britain and Northern Ireland

Respondent

Procedural Posture

Application Under Article 34 of the European Convention on Human Rights / Judgment After Full Chamber Hearing

  1. 1 Whether holding part of the trial in camera violated Article 6 §§ 1 and 3 (d) of the Convention (right to a fair and public hearing and to examine witnesses)
  2. 2 Whether the refusal to disclose in camera material to the Court hindered the applicant's right of petition under Article 34

Ratio Decidendi

The decision to hold part of the trial in camera was justified by national security, subject to rigorous and independent judicial review with full involvement of the applicant, and limited in scope. The applicant's ability to cross-examine witnesses was not impaired, and the proceedings as a whole were fair. The refusal to disclose in camera material to the Court did not hinder the right of petition as there was meaningful independent scrutiny at multiple judicial levels.

Court Disposition

Application partly admissible; no violation found

Orders

  • Complaint concerning the in camera trial and its impact on fairness declared admissible; remainder inadmissible
  • No violation of Article 6 §§ 1 and 3 (d) of the Convention