Kernrechtsfrage
Whether Article 43(1)(2) CP required internment instead of ambulatory treatment to prevent future danger.
Extrahierter Entscheid
Yes. Given the defendant's severe pedophilic disorder, clear lifelong recidivism risk, and only partial controllability by treatment, ambulatory therapy was insufficient; internment was necessary.
Extrahierte Begründung
The court held that gravely threatened public safety and necessity for prevention are legal questions. The experts' final clarification showed that they had misread internment as hospital internment and, once corrected, accepted carcereal internment with treatment as appropriate. A treatment that only partially controls a serious and lasting risk does not satisfy subsidiarity when important sexual integrity interests are endangered.