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Constitutional Basis

(2025-08-22 12:53:37) 下一個

Summary Table

Feature United States Germany Britain
Constitutional Basis First Amendment Basic Law, Article 5 Human Rights Act (ECHR Article 10)
Hate Speech Mostly protected Criminalized Criminalized
Incitement to Violence Not protected Not protected Not protected
Defamation Not protected Can be punished Can be punished
Historical Influence Limited WWII/Nazi history Colonial & European history
Cultural Approach Absolute liberty Protection of dignity & social order Balance individual rights vs. social harmony

 

 

 

a detailed comparison of freedom of speech in the United States, Germany, and Britain, highlighting the legal frameworks, limitations, and cultural contexts:

 

1. United States

Legal Basis:

  • First Amendment to the U.S. Constitution (1791): "Congress shall make no law... abridging the freedom of speech, or of the press..."

Scope:

  • Very broad protection for speech, including political, commercial, and symbolic speech.

  • Government generally cannot restrict speech based on content, even if it is offensive, controversial, or hateful.

Key Limitations:

  • Incitement to imminent lawless action: Speech that directly incites violence is not protected.

  • True threats: Direct threats of violence can be restricted.

  • Obscenity: Highly explicit material meeting legal tests can be banned.

  • Defamation: False statements harming someone’s reputation are not protected.

  • Commercial speech: Misleading advertising can be restricted.

Cultural Context:

  • Strong cultural emphasis on individual liberty and skepticism of government censorship.

  • Hate speech, even if offensive, is mostly protected unless it crosses thresholds like incitement.


2. Germany

Legal Basis:

  • Basic Law (Grundgesetz), Article 5: Freedom of expression, but with notable exceptions.

Scope:

  • Freedom of speech exists but is limited to protect human dignity and public order.

Key Limitations:

  • Hate speech laws: Prohibit incitement to hatred against ethnic, religious, or national groups (Volksverhetzung).

  • Holocaust denial: Illegal under criminal law.

  • Insults against public figures: Can lead to legal consequences.

  • Symbols of unconstitutional organizations: Nazi symbols are banned.

Cultural Context:

  • Historical context (Nazi era) heavily influences speech laws.

  • Public order and protection against hate and extremism are prioritized over absolute freedom.


3. Britain (UK)

Legal Basis:

  • No single constitutional document; protected under common law and the Human Rights Act 1998 (incorporates ECHR Article 10).

Scope:

  • Freedom of speech is protected, but with stronger statutory limitations compared to the U.S.

Key Limitations:

  • Hate speech laws: Prohibit speech inciting racial or religious hatred.

  • Public order offences: Speech causing harassment, alarm, or distress is restricted.

  • Defamation: Civil and criminal defamation laws provide remedies.

  • Obscene publications: Laws restrict content that could harm public morals.

Cultural Context:

  • Balances individual rights with protection of community cohesion and public order.

  • Hate speech and speech that threatens societal stability are more strictly regulated than in the U.S.

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