Global Legal Community Moves Against Justice Omotosho’s Verdict in Nnamdi Kanu Case
Date: December 16, 2024
Across several jurisdictions, legal professionals are quietly coordinating a structured challenge to the conviction of Mazi Nnamdi Kanu. Their focus rests on constitutional breaches and procedural failures that surrounded the ruling delivered by Justice Omotosho. Rather than relying on emotion, this analysis evaluates strict points of law and their unavoidable consequences.
Related report on Docunews Central
Charge:
The court convicted Mazi Nnamdi Kanu under a statute that had already been repealed before judgment.
Legal Basis:
Before judgment, the Terrorism Prevention (Amendment) Act 2013 had ceased to exist. In its place, the Terrorism Prevention and Prohibition Act 2022 governed all terrorism-related proceedings.
Section 36(12) of the 1999 Constitution of Nigeria prohibits conviction unless the offence is defined by a law in force at the time of trial and judgment.
Despite repeated reminders during proceedings, the court declined to resolve the issue immediately. However, under Section 122 of the Evidence Act, courts must take judicial notice of repealed statutes. The Supreme Court reaffirmed this duty in NNPC v. Fawehinmi.
Consequence:
Without jurisdiction, the conviction lacks legal foundation. Because prosecution relied on a defunct statute, the lawful outcome remains discharge and acquittal.
Charge:
After acknowledging that conviction under a repealed law is unlawful, the court still proceeded to convict.
Legal Basis:
Once a court adopts a legal position that a party relies upon, it cannot later reverse that stance silently. In Ogoejeofo v. Ogoejeofo, Nigerian courts confirmed that judicial estoppel preserves fairness and legal certainty.
Consequence:
This reversal transformed the proceedings into a constitutional ambush. As a result, the conviction cannot withstand appellate review.
Charge:
The court postponed ruling on jurisdiction while exercising punitive authority.
Legal Basis:
In Madukolu v. Nkemdilim, the Supreme Court held that jurisdiction must exist before a court acts. A judge cannot defer the source of judicial authority.
Consequence:
Every step taken without jurisdiction amounts to a nullity. Therefore, the conviction collapses automatically.
Charge:
The court attempted to preserve a repealed statute through a savings clause.
Legal Basis:
Savings clauses permit orderly transition, not statutory resurrection. Section 97 of the Terrorism Prevention and Prohibition Act mandates full transition to the new law.
Consequence:
By reviving a defunct statute, the court breached separation of powers, rendering the conviction constitutionally impossible.
Charge:
The judgment relied on fragments of both repealed and current statutes.
Legal Basis:
Criminal liability must arise from a single identifiable written law. Section 36(12) forbids judicial collage.
Consequence:
A fictional statute cannot imprison a human being. The conviction is void.
Charge:
The court refused to acknowledge repeal as a matter of law.
Legal Basis:
Repeal requires judicial notice, not assumption. Supreme Court precedent makes this obligation mandatory.
Consequence:
Every subsequent act lacked lawful authority. The conviction remains null.
Charge:
The court forced a defence despite the absence of jurisdiction.
Legal Basis:
Once jurisdiction fails, no court may compel participation. Doing so undermines the presumption of innocence.
Consequence:
The trial lost its adjudicatory character. Consequently, the conviction cannot stand.
Charge:
Proceedings continued after conviction became legally impossible.
Legal Basis:
Courts exist to resolve live legal disputes, not perform procedural rituals.
Consequence:
Retrial is barred. Acquittal becomes mandatory.
Nigeria lacked authority to prosecute broadcasts allegedly made from the United Kingdom without satisfying statutory extraterritorial conditions, including double criminality. No evidence established that the alleged broadcasts violated UK law.
UK Crown Prosecution Service – Criminal Jurisdiction
Additionally, no witness testified that the broadcasts were received or acted upon in Nigeria. Criminal liability requires demonstrable impact, not speculation.
Mazi Nnamdi Kanu was abducted rather than extradited. Kenyan courts later declared the rendition unlawful. Nigerian courts cannot benefit from executive illegality.
Under Abacha v. Fawehinmi, Nigerian courts remain bound by the African Charter on Human and Peoples’ Rights.
These seventeen defects represent only a fraction of the reversible errors identified so far. However, even one jurisdictional failure voids an entire criminal trial.
In law, speed never replaces legality. Courts exist to uphold constitutional order, not bypass it.
Zelensky Calls Russian Drone Attack on Kyiv ‘Sick’ Ukrainian President Volodymyr Zelensky has condemned what…
Ndume Calls for US Airstrikes on Boko Haram, ISWAP Hideouts in North-East. Senator Ali Ndume…
FCT Minister Wike: “After Tinubu, I’m the Most Abused Politician in Nigeria” FCT Minister Wike:…
Sheikh Gumi warns US. Stop your airstrikes in Nigeria now. In recent days, a major…
Trump Reveals US Delayed Nigeria Strike to Make It a “Christmas Gift On December 25,…
Bashir Ahmad Insists: Nnamdi Kanu Is a Convicted Terrorist, Must Stay in Sokoto Prison Former…
This website uses cookies.