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S v Masiya 2007 (2) SACR 435 (CC)

Authored By: Lerato Ndlovu

University of South Africa

Introduction 

The case of S v Masiya (2007) is a landmark case in South Africa because it modernized the  definition of rape to the extent that it excludes anal penetration and is gender-specific. The case  expanded the manner in which the definition of rape was understood and interpreted in the court  of law. It represents the pivotal moment in which the definition of rape strengthened  constitutional values of dignity, equality and bodily integrity. The case highlighted the gaps in  the law, which pushed the courts to move toward a more inclusive legal framework for sexual  offences broadening protection for victims and influenced legislative reforms. 

Facts of the case 

Mr. Masiya, a 44-year-old male was charged with the crime of rape and brought before the  District Court at Sabie. On 16 March 2004, the state alleged that near Sabie, Mr. Masiya  wrongfully and unlawfully had sexual intercourse with a minor without her consent. The  complainant was a nine-year-old girl, who was incapable of giving consent to any form of sexual  activity. Mr. Masiya was tried at the Regional Court at Graskop, where he was represented by an  attorney from the Nelspruit Justice Centre and thereby, he pleaded not guilty to the charges. 

He elected to remain silent and not advance a statement to explain his plea. On 11 July 2005, Mr.  Masiya was convicted of rape in terms of section 52(1) of the Criminal Law Amendment Act 105 of 1995. The proceeding of the case was however stopped and Mr. Masiya was therein  committed to the High Court for the purposes of sentence. However, the evidence established  that the complainant was penetrated anally by the accused. Mr. Masiya elected not to testify or  call witnesses in his defense, leaving the court to adjudicate solely on the state’s evidence. Faced  with the restrictive common-law definition of rape that is limited to non-consensual vaginal penetration by a penis, the state sought a conviction for indecent assault, a competent verdict  under the charge of rape. The defense argued that the act should be treated as rape because of its severity and the harm inflicted towards the minor. 

The Regional Court, acting on its own initiative, questioned whether the common law definition  of rape required development to reflect constitutional imperatives. The defense, however,  challenged this approach, arguing that Magistrates’ Courts lack the jurisdiction to pronounce on  the constitutionality of common-law rules. The Regional Court held that the definition or rape  should be extended to promote the constitutional objectives and expressively refrained from  ruling on whether non-consensual oral penetration constituted as a crime of rape. 

Legal issues 

The primary questions to be considered relate to: 

  1. Whether the narrow common-law definition of rape is restricted to vaginal penetration that which fails to meet constitutional standards of dignity, equality, and freedom,  thereby necessitating judicial development. 
  2. Whether Mr. Masiya can properly be convicted under an expanded definition of rape, and  how the principle of legality constrains retrospective application of such development. 
  3. Whether the invalidity of statutory provisions that reinforce the outdated definition  should be confirmed to ensure consistency with constitutional imperatives. 
  4. Whether this Court should address the merits of the criminal conviction directly, and if  so, what form of relief would be appropriate to balance constitutional protection with fair  trial rights. 

Arguments presented 

The Counsel for the defense, Mr. Geach and Mr. Bauer, argued that the State had failed to  discharge its burden of proof beyond a reasonable doubt, pointing to material inconsistencies in  the complainant’s testimony. In her initial statement to the police, the complainant alleged that  she was penetrated both anally and vaginally on a single occasion. Yet, before the regional court,  she testified that penetration occurred only anally, and only once. When the matter reached this  Court, her evidence shifted again: she claimed that both anal and vaginal penetration had  occurred, but on separate occasions, and further altered the timeline by asserting that the incidents took place in 2003 rather than 2004, as previously stated. These contradictions not only  undermined the reliability of her testimony but also raised serious questions about the sufficiency  of the State’s case, reinforcing the defense’s contention that a conviction could not rest on such  unstable evidentiary foundations. 

Mr. Bauer contended that although one might be inclined to dismiss the complainant’s differing  accounts as mere inconsistencies rather than material contradictions, the cautionary rule  nevertheless required careful application to her testimony. At the time of these proceedings, the  complainant was 11 years old (born 27 November 1994, as confirmed in exhibit E) and testified  through an intermediary, Ms. Salome Moshibidu Ngobeni. 

She reaffirmed the evidence previously given by Grace in the court a quo, namely that during the  period of the incident she was not residing with her mother. Instead, she had lived for a time with  her mother’s uncle, Nduna Mashego, before moving in with Grace, to whom she disclosed the  assault. Together, they reported the matter to the police, after which the complainant was taken  for a medical examination. 

The complainant further repeated her earlier testimony that she had informed her mother of the  abuse, stating that “that person was molesting me.” Her mother, however, dismissed the  disclosure, accusing the complainant of fabricating conflict between herself and the accused,  with whom she consumed alcohol with at times. This response not only undermined the  complainant’s attempt to seek protection but also highlighted the broader systemic failures in  safeguarding child victims of sexual violence, where familial neglect and disbelief compound the  trauma of abuse. 

Mr. Masiya argued that the extended definition should not be applied to his case as the  application would constitute a violation of his rights in terms of section 35(3)(1) of the  Constitution. He elected not to testify or call witnesses in his defense. 

Court’s reasoning and analysis 

The court re-analyzed how rape has been understood in the South African common law. The  definition of rape presupposed non-consensual sexual penetration of a vagina by a penis. It was  argued by the state that the current definition of rape criminalizes unacceptable social conduct that is in violation of constitutional rights for victims. Moreover, the current law of rape has been  affected by statutory developments in recent decades. 

In the present case, the facts concern the anal penetration of a young girl. The central issue that  was represented before the court was whether the current definition of rape ought to be  developed to expressly encompass anal penetration within its scope. Essentially the High Court  argued that the principle of legality had no application in the case as no new crime was created.  The court held that the accused knew he was acting unlawfully; despite sexually assaulting the  complainant without her consent, the definition of rape was limited in this case. 

The facts of this case do not require consideration of whether the definition of rape should be  extended to include non‑consensual penetration of the male anus by a penis. Compelling  arguments were presented to highlight the gender‑specific nature of the offence, which reflects  patriarchal stereotypes inconsistent with constitutional principles. The court maintained,  however, that the matter should be resolved on the basis of the facts as they stand, rather than on  hypothetical extensions of the definition. The court’s argument that the outdated definition of  rape was inconsistent with the Constitution.  

In its analysis, the court adopted a purposive and transformative approach to constitutional  interpretation. It emphasized that the common law must evolve in accordance with constitutional  values, particularly within a society committed to equality and human rights. The court rejected  the contention that redefining rape should be left exclusively to the legislature. Instead, it  affirmed that the judiciary bears a duty to develop the common law whenever it is found to be  inconsistent with the Constitution. The ordinary principle of the common law is that, once a rule  has been developed, it applies to all cases not only to those arising after the judgment in which  the development was made. As Kentridge AJ observed in Du Plessis: “In our courts a judgement  which brings about a radical alteration in the common law as previously understood proceeds  upon the legal fiction that the new rule has not been made by the court but merely found, as if it  had been inherent in the law. Nor do our courts distinguish between cases which have arisen  before, and those which arise after, the new rule has been announced. For this reason, it is  sometimes said that ‘Judge-made law’ is retrospective in its operation. In all this our courts have  followed the practice of the English courts”. 

Judgement and Ratio decidendi

Judgement 

  • The common law definition of rape is declared to be unconstitutional, for the reasons  given by the learned Magistrate in his judgment and for the further reasons set out in this  judgment, the definition was extended to include acts of non-consensual penetration of a  penis into the anus of a female. 
  • The application for leave to appeal against the conviction is dismissed based on the merits. 
  • The order made by the High Court is set aside in its entirety. 
  • The sentencing of Mr. Masiya is postponed until the Constitutional Court has made a  determination on the order of Constitutional invalidity referred to in this order. 

Ratio decidendi 

  • The provisions of Act 105 of 1997, together with its schedules, as well as section  261(1)(e) and (f) and section 261(2)(c) of the Criminal Procedure Act 51 of 1977 and its  schedules relating to bail, are declared invalid and unconstitutional to the extent that they  are gender‑specific. 
  • The court underscored that all law, including the common law, must conform to  constitutional values. Where inconsistency arises, the judiciary is not merely empowered  but obligated to develop the law in accordance with the Bill of Rights, thereby ensuring  that legal doctrine evolves in step with constitutional commitments to equality, dignity,  and justice. 

Conclusion 

In conclusion, the S v Masiya case marked a crucial development in aligning South African  common law with constitutional principles. The Constitutional Court recognized that the  traditional definition of rape was inconsistent with the Constitutional values, as it failed to  protect victims particularly women and children from violations of their rights to dignity,  equality, and freedom from violence. By extending the definition to include non-consensual  penetration of a female, the Court fulfilled its constitutional mandate to develop the common law  in line with the Bill of Rights. At the same time, it exercised judicial restraint by including the  protection of male victims to acknowledge that rape is not gender-specific.

Reference(S): 

Case laws 

S v Masiya (CC628/05) [2006] ZAGPHC 69; 2006 (11) BCLR 1377 (T); 2006 (2) SACR 357  (T) (25 July 2006), decided 10 May 2007. SAFLII 

Du Plessis and Others v De Klerk and Another (CCT8/95) [1996] ZACC 10; 1996 (3) SA 850;  1996 (5) BCLR 658 (15 May 1996)  

Acts 

Section 35(3)(1) of the Constitution. 

Section 52(1) of the Criminal Law Amendment Act 105 of 1995. 

section 261(1)(e) and (f) and section 261(2)(c) of the Criminal Procedure Act 51 of 1977.

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