Its not a paramount level like the US (which stipulates quite clearly, further laws
cannot* be made to curtail it)....in fact nowhere near in any other country.
In the US it is held sacrosanct (and is enforced in the end by their supreme court)...whereas in every other claims-to-be-democracy (Europe, Canada, India what have you)....there is no such stipulation against making further laws to curtail it in some "greater good" way. This is key thing, because its already happened in the UK, Europe and Canada....things that would be impossible to curtail in the US because of its 1st amendment...and stare decisis of common law as well.
I am talking by the way, only about free
speech. Freedom of
expression in the US is not a guaranteed inalienable right...because it is a much larger sphere of action compared to speech (in fact the only exceptions in the US regarding free speech is when they cross over to include clearly tort-based expression...e.g yelling fire in a crowded theater kind of thing).
*It is also a key thing
why the US constitution was written in the way it was...to specify clearly what the govt CANNOT do rather than what it can do (like is the default tone of every country that is not the US).
@VCheng
Thank you for eloquently proving my point!
@Joe Shearer
test tagging
@Thəorətic Muslim ...cool it worked!