56. The Court, therefore, holds that the Respondent State violated the
Applicant’s right to life protected under Article 4 of the Charter by imposing
the mandatory death penalty on the Applicant.
C. Violation of the right to dignity
57. The Court notes that the Applicant was sentenced to death by hanging. In
Ally Rajabu and Others v. Tanzania, the Court observed that many methods
used to implement the death penalty have the potential of amounting to
torture, as well as cruel, inhuman and degrading treatment given the amount
of suffering and pain involved. It also held that hanging a person is one of
such methods that is inherently degrading.19 The Court recalls its position in
the matter of Amini Juma v. Tanzania where it held that the execution of the
death penalty by hanging encroaches upon the dignity of a person in respect
of the prohibition of torture and cruel, inhuman and degrading treatment.20
58. The Court reiterates its position that in accordance with the very rationale
for prohibiting methods of execution that amount to torture or cruel, inhuman
and degrading treatment, the prescription should be that methods of
execution must exclude suffering or involve the least suffering possible in
cases where the death penalty is permissible.21
59. Having found that the mandatory imposition of the death sentence violates
the right to life due to its obligatory nature, the Court holds that, as the
method of implementation of that sentence, that is hanging, inevitably
encroaches upon dignity in respect of the prohibition of torture and cruel,
inhuman and degrading treatment.22
19
Rajabu and Others v. Tanzania (merits and reparations), supra, §§ 118-119.
Juma v. Tanzania (judgment), supra, § 136.
21 Rajabu and Others v. Tanzania (merits and reparations), supra, § 118.
22 Ibid, §§ 119-120.
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