Article 36(1) rights, a finding they endorsed later in the Avena (Mexico v USA). 107 In line with this approach, the Commission is of the view that the Respondent State has an obligation under the African Charter, and International Law to provide Consular services to foreign nationals who are in state custody. Moreover, another corresponding obligation arises on the basis of the victim having been subjected to cruel, inhumane and degrading treatment. The Istanbul Protocol, which is unequivocally endorsed by the Commission in its General Comment 4 interpreting the right to redress for violations of Article 5 provides that "States must ensure that the right to complain can be exercised effectively. This includes the right: to diplomatic and consular representatives (for foreign nationals)." 108 175. The Commission considers that preventing the Victim from accessing the High Commission of her home coun'try falls short of the due diligence obligations of the Respondent State. Premature termination of the investigation 176. The Commission is of the view that the investigation was terminated prematurely and that there was indeed need for establishment of more facts prior to closing the investigation. It appears from the record that the investigation into the case of the victim had been closed by the 14th of June 2018, after having commenced in October of 2017. 109 Corrinah Van Wyk of the LAC which assisted the Victim during her detention at Klein met with Commissioner Agas of the Namibian Police to seek updates on the progress, It was then that she was informed that the investigation into her alleged T.I.P had been closed due to lack of evidence.110 177. The Commission observes that at the ti.me of closure, there were still the unanswered questions addressed in the analysis gi ' of the investigation. Additionally, the Commission o members of the Police were of the view that indeed there was-a case fore begs I the question why the investigation was termi? existing thoughts. The Commission notes specifically that , Officer Jacobus Van Wyk who was responsible for pl fe Haven 107 (2004) ICJ Reports, para 12, 43 and 49. 108 Istanbul Protocol, para 196 109 Compla inant's Submissions Statement of Corrinah Van Wyk 110 Respond ent State Submission, Annex 12, Sworn Statement of Corrinah Van Wyk 44

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