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87.
To determine whether ‘disappearance’ is a continuing violation, the African
Commission has to clarify what is a continuing violation or a continuing act?
88.
A continuing violation happens when an act is committed in a certain moment, but
continues due to the consequences of the original act.75 The doctrine of continuing
violation has been used by several international tribunals to hold states accountable for
acts or human rights violations which occurred before the state became a party to a
particular treaty or recognized the competence of the tribunal.
89.
In the Inter-American Human Rights system, the Inter-American Commission on
Human Rights has used the doctrine of continuing violation on several occasions to
exert its authority over failure to investigate a past violation on grounds that an ongoing
failure violates victims' Convention-protected right to judicial protection. In Moiwana
Village v. Suriname,76 the Inter- American Court of Human Rights examined the
violation which occurred before Suriname's acceptance of the Court's jurisdiction, but
which continued after it. The Court argued that its jurisdiction is based on the State's
failure to investigate the facts which occurred before the Convention's ratification.
90.
In Ovelario Tames v. Brazil,77 the victim was allegedly beaten by military police
officers and found dead in a prison in October, 1988. The Inter-American Commission
accepted its own jurisdiction on facts which occurred before Brazil ratified the American
Convention. It stated that: ‘The fact that Brazil has ratified the Convention on 25
September, 1992, does not exempt its responsibility for violations of human rights that
occurred prior to that ratification…’
91.
In Blake v. Guatemala78, an American journalist was executed by Guatemalan
authorities before the State accepted the Tribunal's jurisdiction. In that case, Blake's
forced disappearance lasted from 1985 until 1992, and in spite of the fact that his
whereabouts were known by the Government authorities, his next of kin were not
informed. The Guatemalan Government ratified the Convention in 1978 and accepted
the jurisdiction of the Court in 1987, therefore, concerning the forced disappearance, the
Court exerted its jurisdiction. According to the Court, the enforced disappearance was a
continuous violation of the Convention rights.
92.
All the above mentioned cases refer to continuing violation of rights which
happened after the establishment of either the Inter American Commission or the Court,
even if the events occurred before the related countries had ratified the Inter-America
Convention.
75
76
77
78
Lilian M. Yamamoto., Inter-American Commission of Human Rights -Feasibility Study of Atomic
Bombing Case. Japan Association of Lawyers Against Nuclear Arms.
Inter-Am. Ct. H.R. (ser. C) No. 124, at 1 ( 15 June, 2005)
IACHR Report N? 19/98, Case No. 11.516, 21 February, 1998, Ann. Report . IACHR 1998.
Inter-Am. Ct. H.R. (ser. C) No. 36, at 1 (2 July 1996).