But I was told it was the awful, terrible, 3rd-world-level suffering of the voiceless majority in the West that has caused the rise of the hard right wing because they have no other options to choose from. Particularly in the US, where there's been no recession in the nation outside of a month or two of COVID in the last 17 years.COVID and the ensuing lockdown really fucked with people's heads in a way that will be studied for generations.
People acting like fucking 12 year olds, arguing about who has more freedom. None of you soft cunts know what oppression feels like. Apart maybe that Chinese guy, but I've not seen him post anything for a while.
And these things have happened in political speech forever, which is why it’s good we plebs have the right to speak out about the lies from leadership.It's just as likely that I paraphrased poorly.
It still seems unlikely to be true, and a continuation of the free speech thread being banged on about. I think it's being used to create an impression which is not true.
It’s mostly capitalism running out of margins, prices inevitably going up and taxes not being paid by the richest.But I was told it was the awful, terrible, 3rd-world-level suffering of the voiceless majority in the West that has caused the rise of the hard right wing because they have no other options to choose from. Particularly in the US, where there's been no recession in the nation outside of a month or two of COVID in the last 17 years.
yetGood thing we don't have that 3rd term problem :)
Yes absolutely. Free speech is still alive and well over here. What we can't do, and rightly so, is call someone a nonce on social media, with it's negative connotations and potential harm, without some proof of it being true. That's the point you see, Shitgibbon and Co's proclamations on social media are, for the most part, lies, designed to promote their agenda. That's not free speech. Surely you can see the difference?
Because in the US the complainant would have to prove they weren’t a paedo.And they were convicted of hate speech. That’s not ok here and shouldn’t be anywhere. Note that if in the US I call someone a paedophile with no evidence it is likely to be not actionable.
It’s not talked about in the U.K. as far as I’m aware, outside of Twitterbots trying to make it a thing.Yes, I can. Your libel laws are more liberal than the U.S.
It’s not about allowing free speech, or not, it’s the threshold of where free speech ends and libel begins.
You think this **** is giving up power, only way he leaves is in a box, sooner rather than later.Good thing we don't have that 3rd term problem :)
Be careful what you wish for! ;-)Come the revolutiom.......
Other than the one you just gave?!There is no lack of freedom of expression in uk, other than a block on hate crime in a poorly drafted law.Give examples.
Ah…a parliament.There is a parliament which decides limits.
Pretty much think we've got it right thenFree speech laws in the U.S. and the U.K. differ significantly due to their legal frameworks and historical contexts. Here are the key differences:
1. Constitutional Protection vs. Parliamentary Law
U.S.: Free speech is explicitly protected under the First Amendment of the Constitution, which prevents the government from restricting speech, with limited exceptions (e.g., incitement to violence, defamation, and true threats).
U.K.: There is no single constitutional provision guaranteeing free speech. Instead, it is protected under common law, the Human Rights Act 1998, and European Convention on Human Rights (ECHR) Article 10, but with broader limitations.
2. Hate Speech Laws
U.S.: Hate speech is generally protected unless it incites imminent violence or includes direct threats.
U.K.: Hate speech is criminalized under laws like the Public Order Act 1986 and the Communications Act 2003, making it illegal to stir up racial, religious, or homophobic hatred.
3. Defamation Laws
U.S.: Plaintiffs in defamation cases, especially public figures, must prove actual malice (knowledge of falsehood or reckless disregard for the truth), making lawsuits harder to win.
U.K.: Defamation laws are stricter, and the burden is on the defendant to prove the truth of a statement. The Defamation Act 2013 introduced reforms, but it is still easier to sue for libel in the U.K. than in the U.S.
4. Online Speech and Social Media Regulations
U.S.: Platforms are generally shielded from liability for user-generated content under Section 230 of the Communications Decency Act, though there are debates over reform.
U.K.: The Online Safety Act 2023 introduces stricter regulation on tech companies, requiring them to remove harmful content, including legal but "harmful" speech.
5. Protests and Public Order
U.S.: The right to peaceful assembly is strongly protected, though local governments can impose reasonable time, place, and manner restrictions.
U.K.: The Public Order Act 1986 and Police, Crime, Sentencing and Courts Act 2022 allow authorities to restrict protests based on noise, disruption, or risk of disorder, giving police broader powers than in the U.S.
6. Blasphemy and Religious Speech
U.S.: Blasphemy laws do not exist, and religious criticism is fully protected.
U.K.: The last blasphemy laws were abolished in 2008, but laws against religious hatred (e.g., Racial and Religious Hatred Act 2006) can still limit certain types of speech.
Conclusion
The U.S. has broader free speech protections due to the First Amendment, while the U.K. places greater emphasis on balancing speech with protections against harm (e.g., hate speech and defamation laws). This makes speech in the U.K. more regulated, particularly in online spaces and public protests.
What could go wrong, then, eh?!Pretty much think we've got it right then
Think it’s indoctrinated in the US that governments can’t be trusted. It’s why they have trillions of guns.There is a parliament which decides limits.
A good summary. The balanced approach in the UK is typical of European culture vs American culture. What people in the US fail to appreciate or at least fail to add into the reckoning is that the more you protect speech the more likely you are to allow harm to the object of that speech. A high profile case occurred when a diver saved a youth football team from certain death. He was characterised in the US as a paedofile: “Why else would a British guy live in Thailand.?” said Musk and, because his exploits made him famous, his defamation case failed on the grounds that he was a public figure. This did immense damage to the diver.Free speech laws in the U.S. and the U.K. differ significantly due to their legal frameworks and historical contexts. Here are the key differences:
1. Constitutional Protection vs. Parliamentary Law
U.S.: Free speech is explicitly protected under the First Amendment of the Constitution, which prevents the government from restricting speech, with limited exceptions (e.g., incitement to violence, defamation, and true threats).
U.K.: There is no single constitutional provision guaranteeing free speech. Instead, it is protected under common law, the Human Rights Act 1998, and European Convention on Human Rights (ECHR) Article 10, but with broader limitations.
2. Hate Speech Laws
U.S.: Hate speech is generally protected unless it incites imminent violence or includes direct threats.
U.K.: Hate speech is criminalized under laws like the Public Order Act 1986 and the Communications Act 2003, making it illegal to stir up racial, religious, or homophobic hatred.
3. Defamation Laws
U.S.: Plaintiffs in defamation cases, especially public figures, must prove actual malice (knowledge of falsehood or reckless disregard for the truth), making lawsuits harder to win.
U.K.: Defamation laws are stricter, and the burden is on the defendant to prove the truth of a statement. The Defamation Act 2013 introduced reforms, but it is still easier to sue for libel in the U.K. than in the U.S.
4. Online Speech and Social Media Regulations
U.S.: Platforms are generally shielded from liability for user-generated content under Section 230 of the Communications Decency Act, though there are debates over reform.
U.K.: The Online Safety Act 2023 introduces stricter regulation on tech companies, requiring them to remove harmful content, including legal but "harmful" speech.
5. Protests and Public Order
U.S.: The right to peaceful assembly is strongly protected, though local governments can impose reasonable time, place, and manner restrictions.
U.K.: The Public Order Act 1986 and Police, Crime, Sentencing and Courts Act 2022 allow authorities to restrict protests based on noise, disruption, or risk of disorder, giving police broader powers than in the U.S.
6. Blasphemy and Religious Speech
U.S.: Blasphemy laws do not exist, and religious criticism is fully protected.
U.K.: The last blasphemy laws were abolished in 2008, but laws against religious hatred (e.g., Racial and Religious Hatred Act 2006) can still limit certain types of speech.
Conclusion
The U.S. has broader free speech protections due to the First Amendment, while the U.K. places greater emphasis on balancing speech with protections against harm (e.g., hate speech and defamation laws). This makes speech in the U.K. more regulated, particularly in online spaces and public protests.
I guess everyone’s experience of life is different. Go figure.Funny that. Many Americans living here say they feel freer here than in US.