User:GRANTLEICHTER/Supreme Court of Zimbabwe

SECTION TITLE: NOTABLE DECISIONS

SUBSECTION TITLE #1: Veneria Magaya v. Nakayi Shonhiwa Magaya (May 1999)

Magaya v. Magaya is known to be one of the cases that has had the most far-reaching impacts on the rights of African women. This case centered upon an African male dying intestate, and the question of which of his immediate children might gain inheritance. Shonhiwa Magaya was survived by four children, only one of whom was female, as well as two polygamous wives. A community court initially ruled in favor of the eldest female daughter, naming her heir to the estate. Magaya's second son, Nakayi, challenged this ruling, and after another hearing, was proclaimed the heir to the estate on grounds of customary law, kicking his sister off the Harare property. The daughter, Venia, would quickly appeal to the Zimbabwean Supreme Court, challenging the appointment. Upon further appeal, the Supreme Court would uphold the original decision, reasoning that under customary succession laws, males were the dominant heirs. The court also had to address whether of not this discriminatory customary law principle should be deemed unconstitutional. Section 23 of the Zimbabwean Constitution protects citizens from discrimination on grounds of "race, tribe, place of origin, political opinions, colour or creed," yet it does not make any mention of outlawing discrimination based on sex. This particular section excludes protection from these respective matters: "adoption, marriage, divorce, burial, devolution of property on death or other matters of personal law." Although the court did make a statement acknowledging the importance of gender advancement, it argued that fundamental customary laws are the cornerstone of African society and tradition, and are therefore hard to be thrown out. Further, the court made the argument that issues in this subject area should be assigned to legislators, not the courts. Critics of this decision have said that it should be deemed invalid under both international law and Zimbabwe constitutional law. Many critics of Zimbabwean cultural practices suggest that even if the Supreme Court had taken human rights into consideration, the same decision would most likely have been reached. The law in Zimbabwe at this time so distinctly sanctions discrimination based on gender that the case was inevitably going to be decided the way it was. This case still remains important and remains in question throughout Southern Africa, as it has become a mobilization stimulus among groups who say it has violated human rights as well as Zimbabwe's Constitution.

SUBSECTION TITLE #2: Chavunduka v. Minister of Home Affairs (March 2000)

Chavunduka v. Minister of Home Affairs is a case that regarded the publishing of what was deemed by the defendant to be "false news." This case initially came into the public realm when the senior journalist, Raymond Choto, and editor, Mark Chavunduka, of a Zimbabwean newspaper entitled The Standard were taken into custody and arrested for after they published an article that discussed a failed coup d'etat entitled "Senior Army Officers Arrested". The general claim of this article was that the coup was caused by discontent with the government's mismanagement of the economy as well as anger over Zimbabwe's involvement in a war raging in the Democratic Republic of the Congo. When arrested, the two journalists from The Standard were charged with publishing a "false statement likely to cause fear, alarm or despondency" under section 50(2)(a) of the Law and Order Act. After being released on bail by the Magistrates Court, the two men brought the case to the Supreme Court of Zimbabwe, claiming that their rights to the freedom of expression were being violated under section 18 of the 1980 Zimbabwean Constitution. Ultimately, the Supreme Court would rule in favor of the plaintiffs, making the assertion that publishing "false news" was too broad and vague. The court would point out that: "Almost anything that is newsworthy is likely to cause, to some degree at least, in a section of the public or a single person, one or other of these subjective emotions." Chief Justice Anthony Gubbay would deliver the majority judgement of the full bench of justices. This case remains important because of the somewhat binding precedent has set in the realm of protecting free speech. Despite this ruling, the government of Zimbabwe would enact Section 80 of the AIPPA just two years later. The autocratic regime of Robert Mugabe passed this law which prohibited journalists from publishing false information that is said to threaten the interests of the state. Within a few months of this statue being enacted, it was used against many journalists, including Andrew Meldrum.

SUBSECTION TITLE #3: Devagi Rattigan and Others v. Chief Immigration Officer and Others (June 1994)

Devagi Rattigan and Others v. Chief Immigration Officer and Others was a case centered upon whether an immigration law that made permanent residence illegal to to citizen's alien husbands violated these particular citizen's right to freedom of movement. The three applicants were all female legal citizens of Zimbabwe, yet each of them were married to men who were not legal citizens of Zimbabwe. The three husbands had previously been denied permanent residence in Zimbabwe due to the fact that they did not have any skills that the country was in need of. The reasoning of the Chief Immigration officer was that although the marriages may have been genuine, government policy stated that the principal applicant for a permanent residence should be the husband, unless the wife was deemed a high qualified professional. Further, a residence permit could only be given to a foreign male if they possess a scare skill and met the threshold for their finances. The applicants made the argument that the refusal of permanent residence violated the freedom of movement clause in Section 22(1) of the Zimbabwe Constitution. This clause suggests that the freedom of movement includes: "The right to move freely throughout Zimbabwe, the right to reside in any part of Zimbabwe, the right to enter and leave Zimbabwe and immunity from expulsion from Zimbabwe." The plaintiffs would also argue that the law indirectly put restraints on gender, as denying their husband's permanent residence in Zimbabwe simultaneously denied a women's right to establish their residence. The Supreme Court of Zimbabwe would make a groundbreaking decision in 1995 by ruling that a foreign husband should have identical rights of residence as a foreign wife. As a direct result of this ruling, the Zimbabwean government would add the 14th amendment to the constitution, which effectively got rid of all rights to citizenship based on marriage, as well as removing gender discrimination. This decision has been cited and reinforced in many cases since, including Salem v. Chief Immigration Officer and Others.