KASYMAKHUNOV AND SAYBATALOV v. RUSSIA - 26261/05 26377/06 - HEJUD [2013] ECHR 217 (14 March 2013)

KASYMAKHUNOV AND SAYBATALOV v. RUSSIA - 26261/05 26377/06 - HEJUD [2013] ECHR 217 (14 March 2013)

The Court found that the applicants' convictions were based on legal provisions that were not sufficiently accessible or foreseeable, particularly as the Supreme Court's decision banning Hizb ut-Tahrir was not officially published until after the applicants' alleged offences. The Court also found that the...

Source-derived case information.

Citation
[2013] ECHR 217
Parties
Applicant: Yusup Salimakhunovich Kasymakhunov; Applicant: Marat Temerbulatovich Saybatalov; Respondent: Russian Federation
Jurisdiction
European Union
Procedural Posture
Application Under Article 34 of the European Convention on Human Rights / Judgment on Admissibility and Merits
Outcome
Violation found
Legal Topics
Freedom of Religion, Freedom of Expression, Freedom of Association, Non Discrimination, Legality of Criminal Offences, Terrorism, Extremism
Human Rights Law Criminal Law Freedom of Religion Freedom of Expression Freedom of Association Non Discrimination Legality of Criminal Offences Terrorism +1 more

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Parties

Yusup Salimakhunovich Kasymakhunov

Applicant

Marat Temerbulatovich Saybatalov

Applicant

Russian Federation

Respondent

Procedural Posture

Application Under Article 34 of the European Convention on Human Rights / Judgment on Admissibility and Merits

  1. 1 Whether the applicants' convictions were based on legal provisions that were accessible and foreseeable
  2. 2 Whether the applicants' rights to freedom of religion, expression, and association were violated
  3. 3 Whether the applicants were discriminated against on account of their religious beliefs

Ratio Decidendi

The Court found that the applicants' convictions were based on legal provisions that were not sufficiently accessible or foreseeable, particularly as the Supreme Court's decision banning Hizb ut-Tahrir was not officially published until after the applicants' alleged offences. The Court also found that the interference with the applicants' rights to freedom of religion, expression, and association was not justified as necessary in a democratic society, given the lack of evidence of violent intent or acts. The Court concluded that there was a violation of Articles 7, 9, 10, and 11 of the Convention, and that the applicants were discriminated against on the basis of their religious beliefs,...

Court Disposition

Violation found

Orders

  • The Court found violations of Articles 7, 9, 10, 11, and 14 of the Convention.
  • The Russian Federation is to pay just satisfaction to the applicants (amounts to be determined).