25. The Complainant further submits that there was never any settlement of issues by the parties in accordance with the principles of the Charter of the United Nations, the Constitutive Act of the African Union, the provisions of the African Charter or any legal instrument of the African Union. Accordingly , it is submitted that the requirement for admissibility under Article 56(7) of the African Charter has been met. 26 . Accordingly, the Complainant submits that the Victim has satisfied the requirement for admissibility. The Respondent State's Submission on Admissibility: 27 . The Respondent State submits that the Communication should be dismissed because it does not meet the requirements for admissibility. The State further submits that the Complainant's true cause of action is a complaint about the judgement of the Constitutional Court. 28 . In this regard, the Respondent State avers that a core requirement for seizure and admissibility of a Communication is that the Victim must demonstrate a prima facie case of a breach of the African Charter. The Respondent State further avers that the allegations of a Communication should provide prima facie evidence that a provision of the African Charter has been violated . 29 . The Respondent State submits that the Commission like other international bodies requires that the Complainant submit a prima facie case in order to be admissible. The State further submits that Commission has explained that "[A] communication which does not include a prima facie violation of the Banjul Charter or some of the basic principles of the OAU Charter such as 'freedom , equality, justice or dignity' will not be examined ," referring to the ACHPR Information Sheet No.3, p.8.4 30. The Respondent State contends that "the Complainant relies in this regard on alleged breaches of Articles 1, 7(1) and 26 of the Charter;" 5 however, submits that taking all the factual allegations at face value , they do not demonstrate an alleged breach of any of the Articles on which the Complainant relies .6 The Complainant's rejoinder on Admissibility: 31 . The Complainant submits that the Respondent State is incorrect in stating that the Communication 's true cause of action is a complaint about the judgment of the Constitutional Court. The Complainant submits that the true cause of action is violation of Article 7(1) and 26 of the African Charter, in that the Respondent State's Rule 129V of the National Assembly permitted the appointment of a Judge as part of the Independent Panel .7

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