What is Cadena temporal?
This is a form of punishment used within the Philippine legal system. This punishment includes chained imprisonment for 12 years and one day along with hard labor. The punishment also deprives the prisoner of basic civil rights and may subject them to a lifetime of surveillance by the government.
Cadena in Spanish means chain, and the length of the sentence depends on the second term in the word. Cadena temporal implies less than a permanent sentence, or a temporary sentence, while Cadena pepetua implies a sentence of life, or a perpetual or permanent sentence.
This type of punishment was observed by the United States when the Philippines were a U.S. colony, and the constitutionality of the punishment was observed by the Supreme Court Paul A. Weems v. United States.
Paul A. Weems v. United States, 217 U.S. 349 (1910) and the Decision about Cadena temporal
Background to the Case
The plaintiff, Paul A. Weems, was an officer of the Bureau of Coast Guard and Transportation, and while in the Philippines, he was charged with falsifying a document to defraud the government. He received Cadena temporal punishment of 15 years in prison along with a fine. He appealed the charges, but the charges were upheld by the Supreme Court of the Philippine Islands.
The Case against the United States
After the decision was upheld by the Supreme Court of the Philippine Islands, Paul Weems filed an appeal with the U.S. Supreme Court that stated the charged were cruel and unusual. Weems made the following arguments:
· the charges should be dropped because the Philippine Court made an error when it overruled Weems’ opposition to the charges and described him as the “disbursing officer of the Bureau of Coast Guard and Transportation of the Philippine Islands,” a position that did not exist
· the records did not state that Weems was actually present when he was tried in the Philippine court
· the judgment should be reversed because the sentence is cruel and unusual
Decision by the U.S. Supreme Court
The Court found that Weems was incorrect in his first argument, but the court ultimately ruled that Weems was correct in his second and third arguments. Cadena temporal was the second must severe punishment next to capital punishment under the Philippine law.
The Court did, however, offer opinions that no case up to this point actually provided a definition for cruel and unusual punishment under the Eighth Amendment.
Justice McKenna stated the following during his opinion of the court: “These provisions are attacked as infringing that provision of the Bill of Rights of the islands which forbids the infliction of cruel and unusual punishment. . . What constitutes a cruel and unusual punishment has not been exactly decided. It has been said that ordinarily the terms imply something inhuman and barbarous, torture and the like. . . The Court, however, conceded the possibility ‘that punishment in. . .prison for a long term of years might be so disproportionate to the offense as to constitute a cruel and unusual punishment.”
Source: http://walker.cqpress.com/cases/weems_vs_us.asp