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Soares (Salvador): The Public Prosecutor v. Salvador Soares

Judgement, 9 Dec 2003, Special Panels for Serious Crimes (District Court of Dili), East Timor

During Indonesia’s illegal occupation of East Timor from 1975 until 2002, the Indonesian Armed Forces (TNI) along with a number of militia groups perpetrated widespread abuses against the civilian population, particularly targeting those known to be or suspected of being pro-independence supporters.

In September 1999, members of the TNI and Dadurus Merah Putih (DMP) militia of which the Accused was a member, surrounded the home of a known independence supporter. In his absence, his relative was dragged outside and beaten with machetes, spears and stones until he died. His brother-in-law, emerging from the neighbouring home, was also targeted – he was shot and stabbed until he too died. The Accused was convicted by the Special Panels for Serious Crimes for his participation in the murder of both victims and sentenced to 10 years 6 months’ imprisonment. He was, however, acquitted of the charge of torture as the Special Panel found that he did not act with the intent of torturing the victims, but 'solely' with the intent to cause their death.


Public Prosecutor's Office v. Ahmad al-Y (First Instance)

Judgement, 21 Apr 2021, District Court of The Hague, The Netherlands

Ahmad al-Y. was convicted of two crimes: the war crime of outrage upon personal dignity and participation in a terrorist organisation. The court holds that the accused fought alongside Ahrar al-Sham in the Syrian Civil War and considers this organisation to have terrorist intent. Therefore, the accused is convicted for participation in a terrorist organisation.

The court finds the accused also guilty of the war crime of outrage upon personal dignity. Al-Y. can be seen in a video alongside other fighters celebrating a battlefield victory around a deceased person and putting his foot on the body of the deceased person. This conduct, in combination with other acts of the accused in the video, is humiliating and degrading enough to meet the threshold of this crime. In another video, in which the accused is roughly interrogating a captured soldier, this threshold is not met.

Ahmad al-Y. is sentenced to a combined six years of imprisonment, which is a relatively low sentence due to mitigating circumstances.


Public Prosecutor's Office v. Ahmad al-Y (Appeal)

Judgement, 6 Dec 2022, Court of Appeal of The Hague, The Netherlands

Ahmad al-Y. was accused of two crimes: the war crime of outrage upon personal dignity and participation in a terrorist organisation. The court finds that the accused fought in Syria alongside the terrorist organisation Ahrar al-Sham and he is therefore convicted of participation in a terrorist organisation.

Unlike the Court of First Instance, the Court of Appeal does not find the suspect guilty of the war crime of outrage upon personal dignity. The videos show the accused spitting towards the deceased person and putting his foot near a body, while he was celebrating a victory over soldiers of the Syrian Government. Although the actions of him and his fellow fighters are disrespectful and distasteful, the court finds that this conduct does not meet the threshold necessary for this crime. The conduct is not degrading or humiliating enough. The victims are not severely suffering and are not displayed as a trophy.

The accused is sentenced to five years and four months of imprisonment, which is lower than usual, since the case took unreasonably long.


Pinochet: Re: Augusto Pinochet Ugarte

Judgment, 28 Oct 1998, High Court of Justice (Queen’s Bench Division), Great Britain (UK)

On 11 September 1973, General Augusto Pinochet Ugarte assumed power in Chile as a result of a military coup that overthrew the then government of President Allende. Pinochet was the Commander in Chief of the Chilean Army until 1974 when he assumed the title of President of the Republic. His presidency lasted until 1990 and his role as Commander in Chief until 1998. His regime was known for its systematic and widespread violations of human rights, with allegations of murder, torture and hostage taking of political opponents.

In 1998, during a visit to the United Kingdom for medical treatment, Pinochet was arrested by the English authorities with a view to extraditing him to Spain where a Spanish judge had issued an international arrest warrant. His extradition was, however, not to proceed smoothly as Pinochet applied to have the arrest warrant quashed on the grounds that as a former Head of State he enjoyed immunity from criminal proceedings.

By the present decision, the High Court of Justice quashed the arrest warrant on the grounds that Pinochet enjoyed immunity from criminal proceedings under the 1978 State Immunity Act. However, the Court delayed the effect of the quashing until such time as the matter had been decided on appeal to the House of Lords. 


Soares (Abilio): Prosecution v. Abilio Soares

Judgment, 14 Aug 2002, The Ad Hoc Human Rights Tribunal at the Human Rights Court of Justice of Central Jakarta, Indonesia, Indonesia

Abilio Soares was governor of East Timor at the time violence broke out in East Timor before, during and after the referendum on independence of Indonesia.

On 20 February 2002 he was indicted on two charges of crimes against humanity: murder and assault/persecution. He was charged with command responsibility for the failings and actions of his subordinates and militias, in relation to events during which anti-independence militias committed massacres, such as in the church in Liquica on 6 April 1999, at the house of pro-independence leader Manuel Carrascalao on 17 April 1999, at the residence of the Bishop of Belo on 6 September 1999 and in the church in Suai on 6 September 1999. In each one of these instances, he was accused of not having exercised his authority in order to prevent these crimes from taking place.

The Court considered that, under command responsibility, Abilio Soares was criminally responsible for the human rights violations perpetrated by his subordinates. To come to this conclusion, the Court considered the following elements: his subordinates were under Soares’ effective control and authority, but he did not exert appropriate and proper control over them;  Abilio Soares was aware, or consciously disregarded information relating to these events, as he was informed of these events by subordinates; and that Soares took no action against those district heads under his control who had committed the murders and assaults (for example to prevent or stop the acts or surrender the perpetrators to authorities for investigation and prosecution).

The Court sentenced Abilio Soares to 3 years’ imprisonment, significantly lower than the minimum sentence of 10 years. 


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