Islam and violence

Mainstream Islamic law stipulates detailed regulations for the use of violence, including the use of violence within the family or household, the use of corporal or capital punishment, as well as how, when and against whom to wage war.


Sharia or sharia law is the basic Islamic religious law derived from the religious precepts of Islam, particularly the Quran and the opinions and life example of Muhammad (Hadith and Sunnah) which are the primary sources of sharia.[1][2] For topics and issues not directly addressed in these primary sources, sharia is derived. The derivation differs between the various sects of Islam (Sunni and Shia are the majority), and various jurisprudence schools such as Hanafi, Maliki, Shafi'i, Hanbali and Jafari.[3][4] The sharia in these schools is derived hierarchically using one or more of the following guidelines: Ijma (usually the consensus of Muhammad's companions), Qiyas (analogy derived from the primary sources), Istihsan (ruling that serves the interest of Islam in the discretion of Islamic jurists) and Urf (customs).[3] Sharia is a significant source of legislation in various Muslim countries. Some apply all or a majority of the sharia, and these include Saudi Arabia, Sudan, Iran, Iraq, Afghanistan, Pakistan, Brunei, United Arab Emirates, Qatar, Yemen and Mauritania. In these countries, sharia-prescribed punishments such as beheading, flogging and stoning continue to be practiced judicially or extrajudicially.[5][6] The introduction of sharia is a longstanding goal for Islamist movements globally, but attempts to impose sharia have been accompanied by controversy,[7] violence,[8] and even warfare.[9] The differences between sharia and secular law have led to an ongoing controversy as to whether sharia is compatible with secular forms of government, human rights, freedom of thought, and women's rights.[10][11][12][13]

Islam and war

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The first military rulings were formulated during the first hundred years after Muhammad established an Islamic state in Medina. These rulings evolved in accordance with the interpretations of the Quran (the Muslim Holy scriptures) and Hadith (the recorded traditions of Muhammad). The key themes in these rulings were the justness of war, and the injunction to jihad. The rulings do not cover feuds and armed conflicts in general.[14]

The millennium of Muslim conquests could be classified, technically, as "religious war", however the applicability of the term has been questioned. The reason is that the very notion of a "religious war" as opposed to a "secular war" is the result of the Western concept of the separation of Church and State. No such division has ever existed in the Islamic world, and consequently there cannot be a real division between wars that are "religious" from such that are "non-religious". Islam does not have any normative tradition of pacifism, and warfare has been integral part of Islamic history both for the defense and the spread of the faith since the time of Muhammad. This was formalised in the juristic definition of war in Islam, which continues to hold normative power in contemporary Islam, inextricably linking political and religious justification of war.[15] This normative concept is known as Jihad, which includes the aspect of physical struggle.[16]


Jihad (جهاد) is an Islamic term referring to the religious duty of Muslims to maintain the religion. In Arabic, the word jihād is a noun meaning "to strive, to apply oneself, to struggle, to persevere".[17] A person engaged in jihad is called a mujahid, the plural of which is mujahideen (مجاهدين). The word jihad appears frequently in the Quran,[18] often in the idiomatic expression "striving in the way of God (al-jihad fi sabil Allah)", to refer to the act of striving to serve the purposes of God on this earth.[16][17][19][20] Jihad is sometimes referred to as the sixth pillar of Islam, though it occupies no such official status.[21] In Twelver Shi'a Islam, however, jihad is one of the ten Practices of the Religion.[22]

Muslims and scholars do not all agree on its definition. Many observers—both Muslim[23] and non-Muslim[24]—as well as the Dictionary of Islam,[16] talk of jihad having two meanings: an inner spiritual struggle (the "greater jihad"), and an outer physical struggle against the enemies of Islam (the "lesser jihad")[16][25] which may take a violent or non-violent form.[17][26] Jihad is often translated as "Holy War",[27][28][29] although this term is controversial.[30][31] According to orientalist Bernard Lewis, "the overwhelming majority of classical theologians, jurists", and specialists in the hadith "understood the obligation of jihad in a military sense."[32] Javed Ahmad Ghamidi states that there is consensus among Islamic scholars that the concept of jihad will always include armed struggle against wrongdoers.[33]

The beginnings of Jihad are traced back to the words and actions of Muhammad and the Quran.[34] This encourages the use of Jihad against non-Muslims.[35] According to Jonathan Berkey, jihad in the Quran was maybe originally intended against Muhammad's local enemies, the pagans of Mecca or the Jews of Medina, but the Quranic statements supporting jihad could be redirected once new enemies appeared.[36] The first documentation of the law of Jihad was written by 'Abd al-Rahman al-Awza'i and Muhammad ibn al-Hasan al-Shaybani. The document grew out of debates that had surfaced ever since Muhammad's death.[34]

The first forms of military Jihad occurred after the migration (hijra) of Muhammad and his small group of followers to Medina from Mecca and the conversion of several inhabitants of the city to Islam. The first revelation concerning the struggle against the Meccans was surah 22, verses 39-40:[37] The main focus of Muhammad's later years was increasing the number of allies as well as the amount of territory under Muslim control.[38] The Qu'ran is unclear as to whether Jihad is acceptable only in defense of the faith from wrongdoings or in all cases.[34]

According to Richard Edwards and Sherifa Zuhur, offensive jihad was the type of jihad practiced by the early Muslim community, because their weakness meant "no defensive action would have sufficed to protect them against the allied tribal forces determined to exterminate them." Jihad as a collective duty (Fard Kifaya) and offensive jihad are synonymous in classical Islamic law and tradition, which also asserted that offensive jihad could only be declared by the caliph, but an "individually incumbent jihad" (Fard Ayn) required only "awareness of an oppression targeting Islam or Islamic peoples."[39]

According to a number of sources, Shia doctrine taught that jihad (or at least full scale jihad) can only be carried out under the leadership of the Imam[40][41] (who will return from occultation to bring absolute justice to the world).[42] However, "struggles to defend Islam" are permissible before his return.[40]

Caravan raids
Mughal era illustration of Pir Ghazi of Bengal.
Main articles: Caravan raids and Ghazi (warrior)

Ghazi (غازي) is an Arabic term originally referring to an individual who participates in Ghazw (غزو), meaning military expeditions or raiding; after the emergence of Islam, it took on new connotations of religious warfare. The related word Ghazwa (غزوة) is a singulative form meaning a battle or military expedition, often one led by Muhammad.[43]

The Caravan raids were a series of raids in which Muhammed and his companions participated. The raids were generally offensive and carried out to gather intelligence or seize the trade goods of caravans financed by the Quraysh.[44] The raids were intended to weaken the economic and in turn the offensive capabilities of Mecca by Muhammad. However, many of the early converts, who themselves were members of the Quaraysh, saw this as means of vengeance against the persecution they endured in Mecca. The Meccans had sold property Muslims left behind after the Hijra and invested it in the caravans.[45]


Islamic Doctrines teachings on matters of wars and peace have become topics of heated discussion in recent years. Charles Matthews writes that there is a "large debate about what the Quran commands as regards the "sword verses" and the "peace verses". According to Matthews, "the question of the proper prioritization of these verses, and how they should be understood in relation to one another, has been a central issue for Islamic thinking about war."[46] According to Dipak Gupta, "much of the religious justification of violence against nonbelievers (Dar ul Kufr) by the promoters of jihad is based on the Quranic “sword verses.” [47] The Quran contain passages that could be used to glorify or endorse violence.[48][49]

On the other hand, other scholars argue that such verses of the Qur'an are interpreted out of context,[50][51] Micheline R. Ishay has argued that "the Quran justifies wars for self-defense to protect Islamic communities against internal or external aggression by non-Islamic populations, and wars waged against those who 'violate their oaths' by breaking a treaty".[52][53][54] and British orientalist Gottlieb Wilhelm Leitner stated that jihad, even in self-defence, is "strictly limited".[55]

However, according to Oliver Leaman, a number of Islamic jurists asserted the primacy of the “sword verses” over the conciliatory verses in specific historical circumstances.[56] For example, according to Diane Morgan, Ibn Kathir (1301–1372) asserted that the Sword Verse abrogated all peace treaties that had been promulgated between Muhammad and idolaters.[57]

Islamic modernists reject the abrogating status of the sword verses, which would result in the abrogation (naskh) of numerous Quranic verses that counsel peace and reconciliation.[58][59]

Prior to the Hijra travel Muhammad struggled non-violently against his oppressors in Mecca.[60] It wasn't until after the exile that the Quranic revelations began to adopt a more defensive perspective.[61] From that point onward, those dubious about the need to go to war were typically portrayed as lazy cowards allowing their love of peace to become a fitna to them.[62]


Main article: Jihad in Hadith

The context of the Quran is elucidated by Hadith (the teachings, deeds and sayings of the Islamic prophet Muhammad). Of the 199 references to jihad in perhaps the most standard collection of hadith—Bukhari—all assume that jihad means warfare.[63]

Main article: Quranism

Quranists reject the hadith and follow the Quran only. The extent to which Quranists reject the authenticity of the Sunnah varies,[64] but the more established groups have thoroughly criticised the authenticity of the hadith and refused it for many reasons, the most prevalent being the Quranist claim that hadith is not mentioned in the Quran as a source of Islamic theology and practice, was not recorded in written form until more than two centuries after the death of Muhammed, and contain perceived internal errors and contradictions.[64][65]


According to Ahmadi Muslim belief, Jihad can be divided into three categories: Jihad al-Akbar (Greater Jihad) is that against the self and refers to striving against one's low desires such as anger, lust and hatred; Jihad al-Kabīr (Great Jihad) refers to the peaceful propagation of Islam, with special emphasis on spreading the true message of Islam by the pen; Jihad al-Asghar (Smaller Jihad) is only for self-defence under situations of extreme religious persecution whilst not being able to follow one's fundamental religious beliefs, and even then only under the direct instruction of the Caliph.[66][67] Ahmadi Muslims point out that as per Islamic prophecy, Mirza Ghulam Ahmad rendered Jihad in its military form as inapplicable in the present age as Islam, as a religion, is not being attacked militarily but through literature and other media, and therefore the response should be likewise.[67] They believe that the answer of hate should be given by love.[67][68][69] Concerning terrorism, the fourth Caliph of the Community writes:[70]

As far as Islam is concerned, it categorically rejects and condemns every form of terrorism. It does not provide any cover or justification for any act of violence, be it committed by an individual, a group or a government.

Various Ahmadis scholars, such as Muhammad Ali, Maulana Sadr-ud-Din and Basharat Ahmad, argue that when the Quran's verses are read in context, it clearly appears that the Quran prohibits initial aggression, and allows fighting only in self-defense.[71][72][73][74]

Ahmadi Muslims believe that no verse of the Quran abrogates or cancels another verse. All Quranic verses have equal validity, in keeping with their emphasis on the "unsurpassable beauty and unquestionable validity of the Qur'ān".[75] The harmonization of apparently incompatible rulings is resolved through their juridical deflation in Ahmadī fiqh, so that a ruling (considered to have applicability only to the specific situation for which it was revealed), is effective not because it was revealed last, but because it is most suited to the situation at hand.[75]

Ahmadis are considered non-Muslims by the mainstream Muslims since they consider Mirza Ghulam Ahmad, founder of Ahmadiyya, as the promised Mahdi and Messiah.[76][77][78][79] In a number of Islamic countries, especially Sunni-dominated nations, Ahmadis have been considered heretics and non-Muslim, and have been subject to various forms of religious persecution, discrimination and systematic oppression since the movement's inception in 1889.[76][77][79][80]

Islam and crime

The Islamic criminal law is criminal law in accordance with Sharia. Strictly speaking, Islamic law does not have a distinct corpus of "criminal law." It divides crimes into three different categories depending on the offense – Hudud (crimes "against God",[81] whose punishment is fixed in the Quran and the Hadiths); Qisas (crimes against an individual or family whose punishment is equal retaliation in the Quran and the Hadiths); and Tazir (crimes whose punishment is not specified in the Quran and the Hadiths, and is left to the discretion of the ruler or Qadi, i.e. judge).[82][83][84][85] Some add the fourth category of Siyasah (crimes against government),[86] while others consider it as part of either Hadd or Tazir crimes.[87][88]

These punishments range from public lashing to publicly stoning to death, amputation of hands and crucifixion.[98] However, in most Muslim nations in modern times public stoning and execution are relatively uncommon, although they are found in Muslim nations that follow a strict interpretation of sharia, such as Saudi Arabia and Iran.[91][99]

In the Torah We prescribed for them a life for a life, an eye for an eye, a nose for a nose, an ear for an ear, a tooth for a tooth, an equal wound for a wound: if anyone forgoes this out of charity, it will serve as atonement for his bad deeds. Those who do not judge according to what God has revealed are doing grave wrong. (Qurʾān, 5:45 )

Capital punishment

Main article: Beheading in Islam

Beheading was the normal method of executing the death penalty under classical Islamic law.[108] It was also, together with hanging, one of the ordinary methods of execution in the Ottoman Empire.[109]

Currently, Saudi Arabia is the only country in the world which uses decapitation within its Islamic legal system.[110] The majority of executions carried out by the Wahhabi government of Saudi Arabia are public beheadings,[111][112] which usually cause mass gatherings but are not allowed to be photographed or filmed.[113]

Beheading is reported to have been carried out by state authorities in Iran as recently as 2001,[110][114][115] but as of 2014 is no longer in use.[114] It is also a legal form of execution in Qatar and Yemen, but the punishment has been suspended in those countries.[110][110][116]

In recent times, non-state Jihadist organization such as ISIL and Tawhid and Jihad use or have used beheadings. Since 2002, they have circulated beheading videos as a form of terror and propaganda.[117][118] Their actions have been condemned by other militant and terrorist groups, and well as by mainstream Islamic scholars and organizations.[119][120][121][122]

Main article: Rajm

Rajm (رجم) is an Arabic word that means "stoning".[123][124] It is commonly used to refer to the Hudud punishment wherein an organized group throws stones at a convicted individual until that person dies. Under Islamic law, it is the prescribed punishment in cases of adultery committed by a married man or married woman. The conviction requires a confession from either the adulterer/adulteress, or the testimony of four witnesses (as prescribed by the Quran in Surah an-Nur verse 4), or pregnancy outside of marriage.[125][126][126][127]

See below Sexual crimes


A painting from Siyer-i Nebi, Ali beheading Nadr ibn al-Harith in the presence of Muhammad and his companions.

Blasphemy in Islam is impious utterance or action concerning God, Muhammad or anything considered sacred in Islam.[128][129] The Quran admonishes blasphemy, but does not specify any worldly punishment for it.[130] The hadiths, which are another source of Sharia, suggest various punishments for blasphemy, which may include death.[131][132] There are a number of surah in Qur'an relating to blasphemy, from which Quranic verses 5:33 and 33:57-61 have been most commonly used in Islamic history to justify and punish blasphemers.[132][133][134] Various fiqhs (schools of jurisprudence) of Islam have different punishment for blasphemy, depending on whether blasphemer is Muslim or non-Muslim, man or woman.[130] The punishment can be fines, imprisonment, flogging, amputation, hanging, or beheading.[135][136]

Muslim clerics may call for the punishment of an alleged blasphemer by issuing a fatwā.[137][138]

According to Islamic sources Nadr ibn al-Harith, who was an Arab Pagan doctor from Taif, used to tell stories of Rustam and Isfandiyar to the Arabs and scoffed Muhammad.[139][140] After the battle of Badr, al-Harith was captured and, in retaliation, Muhammad ordered his execution in hands of Ali.[141][142][143]


Main article: Apostasy in Islam
Penalties (actual or proposed) for apostasy in some Muslim-majority countries as of 2013.

Apostasy in Islam is commonly defined as the conscious abandonment of Islam by a Muslim in word or through deed.[144][145] A majority considers apostasy in Islam to be some form of religious crime, although a minority does not.[146][147][148]

The definition of apostasy from Islam and its appropriate punishment(s) are controversial, and they vary among Islamic scholars.[146] Apostasy in Islam may include in its scope not only the renunciation of Islam by a Muslim and the joining of another religion or becoming non-religious, or questioning or denying any "fundamental tenet or creed" of Islam such as the divinity of God, prophethood of Muhammad, or mocking God, or worshipping one or more idols.[149][150][151] The apostate (or murtadd مرتد) term has also been used for people of religions that trace their origins to Islam, such as the Bahá'ís in Iran, but who were never actually Muslims themselves. Apostasy in Islam does not include acts against Islam or conversion to another religion that is involuntary, due mental disorders, forced or done as concealment out of fear of persecution or during war (Taqiyya or Kitman).[152][153][154]

Historically, the majority of Islamic scholars considered apostasy a hudud crime as well as a sin, an act of treason punishable with the death penalty, and the Islamic law on apostasy and the punishment one of the immutable laws under Islam.[155][156][157] The punishment for apostasy includes state enforced annulment of his or her marriage, seizure of the person's children and property with automatic assignment to guardians and heirs, and a death penalty for apostates,[158][159][160] typically after a waiting period to allow the apostate time to repent and return to Islam.[161][162][163] Female apostates could be either executed, according to Shafi'i, Maliki, and Hanbali schools of Sunni Islamic jurisprudence (fiqh), or imprisoned until she reverts to Islam as advocated by the Sunni Hanafi school and by Shi'a scholars.[154][164] The kind of apostasy generally deemed to be punishable by the jurists was of the political kind, although there were considerable legal differences of opinion on this matter.[165] There where early Islamic scholars that did not agree with the death penalty and prescribed indefinite imprisonment until repentance. The Hanafi jurist Sarakhsi also called for different punishments between the non-seditious religious apostasy and that of seditious and political nature, or high treason.[131][166] Some modern scholars also argue that the death penalty is an inappropriate punishment,[167][168][169] inconsistent with the Quranic injunctions such as Quran 88:21-22[170] or "no compulsion in religion";[171] and/or that it is not a general rule but enacted at a time when the early Muslim community faced enemies who threatened its unity, safety, and security, and needed to prevent and punish the equivalent of desertion or treason,[172] and should be enforced only if apostasy becomes a mechanism of public disobedience and disorder (fitna).[173] As such moderate Muslims reject such penalty.[170]

To the Ahmadi Muslim sect, there is no punishment for apostasy, neither in the Qur'an nor as taught by the founder of Islam, Muhammad.[174] This position of the Ahmadi sect is not widely accepted in other sects of Islam, and the Ahmadi sect acknowledges that major sects have a different interpretation and definition of apostasy in Islam.[174]:18–25 Ulama of major sects of Islam consider the Ahmadi Muslim sect as kafirs (infidels)[174]:8 and apostates.[175][176]

Under current laws in Islamic countries, the actual punishment for the apostate ranges from execution to prison term to no punishment.[177][178] Islamic nations with sharia courts use civil code to void the Muslim apostate's marriage and deny child custody rights, as well as his or her inheritance rights for apostasy.[179] Twenty-three Muslim-majority countries, as of 2013, additionally covered apostasy in Islam through their criminal laws.[180] Today, apostasy is a crime in 23 out 49 Muslim majority countries; in many other Muslim nations such as Indonesia and Morocco, apostasy is indirectly covered by other laws.[177][181] It is subject in some countries, such as Iran and Saudi Arabia, to the death penalty, although executions for apostasy are rare. Apostasy is legal in secular Muslim countries such as Turkey.[182] In numerous Islamic majority countries, many individuals have been arrested and punished for the crime of apostasy without any associated capital crimes.[181][183][184] In a 2013 report based on an international survey of religious attitudes, more than 50% of the Muslim population in 6 Islamic countries supported the death penalty for any Muslim who leaves Islam (apostasy).[185][186] A similar survey of the Muslim population in the United Kingdom, in 2007, found nearly a third of 16 to 24-year-old faithfuls believed that Muslims who convert to another religion should be executed, while less than a fifth of those over 55 believed the same.[187]

Sexual crimes

Muslim-majority regions with zina laws against consensual premarital and extramarital sex.[188][189]
A map showing countries where public stoning is a judicial or extrajudicial form of punishment, as of 2013.[190]

Zina is an Islamic law, both in the four schools of Sunni fiqh (Islamic jurisprudence) and the two schools of Shi'a fiqh, concerning unlawful sexual relations between Muslims who are not married to one another through a Nikah.[191][192][193][194] It includes extramarital sex and premarital sex,[195][196] such as adultery (consensual sexual relations outside marriage),[197] fornication (consensual sexual intercourse between two unmarried persons),[198] illegal sex by a slave girl,[94][199] and homosexuality (consensual sexual relations between same-sex partners).[200] Traditionally, a married or unmarried Muslim male could have sex outside marriage with a non-Muslim slave girl, with or without her consent, and such sex was not considered zina.[201][202][203]

According to Quran 24:4, the proof that adultery has occurred requires four eyewitnesses to the act, which must have been committed by a man and a woman not validly married to one another, and the act must have been wilfully committed by consenting adults.[204][205] Proof can also be determined by a confession.[205] But this confession must be voluntary, and based on legal counsel; it must be repeated on four separate occasions, and made by a person who is sane.[206] Otherwise, the accuser is then accorded a sentence for defamation (which means flogging or a prison sentence), and his or her testimony is excluded in all future court cases.[207][208] There is disagreement between Islamic scholars on whether female eyewitnesses are acceptable witnesses in cases of zina (for other crimes, sharia considers two female witnesses equal the witness of one male).[209]

Zina is a Hudud crime, stated in multiple sahih hadiths to deserve the stoning (Rajm) punishment.[94][195][210] In others stoning is prescribed as punishment for illegal sex between man and woman,[211] In some sunnah, the method of stoning, by first digging a pit and partly burying the person's lower half in it, is described.[212][213] Based on these hadiths, in some Muslim countries, married adulterers are sentenced to death, while consensual sex between unmarried people is sentenced with flogging a 100 times. Adultery can be punished by up to one hundred lashes, though this is not binding in nature and the final decision will always be in the hands of a judge appointed by the state or community.[214][215] However, no mention of stoning or capital punishment for adultery is found in the Quran and only mentioning lashing as punishment for adultery. Nevertheless, most scholars maintain that there is sufficient evidence from hadiths to derive a ruling.[123][216][217]

Sharia law makes a distinction between adultery and rape and applies different rules.[205][218][219] In the case of rape, the adult male perpetrator (i.e. rapist) of such an act is to receive the ḥadd zinā, but the non-consenting or invalidly consenting female (i.e. rape victim), proved by four four eyewitnesses, is to be regarded as innocent of zinā and relieved of the ḥadd punishment.[220][221][222] Confession and four witness-based prosecutions of zina are rare. Most cases of prosecutions are when the woman becomes pregnant, or when she has been raped, seeks justice and the sharia authorities charge her for zina, instead of duly investigating the rapist.[222][223][224] Some fiqhs (schools of Islamic jurisprudence) created the principle of shubha (doubt), wherein there would be no zina charges if a Muslim man claims he believed he was having sex with a woman he was married to or with a woman he owned as a slave.[201][225]

Zina only applies for unlawful sex between free Muslims; the rape of a non-Muslim slave woman is not zina as the act is considered an offense not against the raped slave woman, but against the owner of the slave.[209][225][226]

The zina and rape laws of countries under Sharia law are the subjects of a global human rights debate and one of many items of reform and secularization debate with respect to Islam.[227][228] Contemporary human right activists refer this as a new phase in the politics of gender in Islam, the battle between forces of traditionalism and modernism in the Muslim world, and the use of religious texts of Islam through state laws to sanction and practice gender-based violence.[229][230]

In contrast to human rights activists, Islamic scholars and Islamist political parties consider 'universal human rights' arguments as imposition of a non-Muslim culture on Muslim people, a disrespect of customary cultural practices and sexual codes that are central to Islam. Zina laws come under hudud — seen as crime against Allah; the Islamists refer to this pressure and proposals to reform zina and other laws as ‘contrary to Islam’. Attempts by international human rights to reform religious laws and codes of Islam has become the Islamist rallying platforms during political campaigns.[231][232]

Violence against LGBT people

The Quran contains seven references to fate of "the people of Lut", and their destruction is associated explicitly with their sexual practices:[233][234][235] Given that the Quran is allegedly vague regarding the punishment of homosexual sodomy, Islamic jurists, turned to the collections of the hadith and seerah (accounts of Muhammad's life) to support their argument for Hudud punishment.[236] There were varying opinions on how the death penalty was to be carried out. Abu Bakr apparently recommended toppling a wall on the evil-doer, or else burning alive,[237] while Ali bin Abi Talib ordered death by stoning for one "luti" and had another thrown head-first from the top of a minaret—according to Ibn Abbas, this last punishment must be followed by stoning.[236] With few exceptions all scholars of Sharia, or Islamic law, interpret homosexual activity as a punishable offence as well as a sin. There is no specific punishment prescribed, however, and this is usually left to the discretion of the local authorities on Islam.[238][239] There are several methods by which sharia jurists have advocated the punishment of gays or lesbians who are sexually active. One form of execution involves an individual convicted of homosexual acts being stoned to death by a crowd of Muslims.[240] Other Muslim jurists have established ijma ruling that those committing homosexual acts be thrown from rooftops or high places,[241] and this is the perspective of most Salafists.[242]

Today in most of the Islamic world homosexuality is not socially or legally accepted. In Afghanistan, Brunei, Iran, Mauritania, Nigeria, Saudi Arabia, Sudan, United Arab Emirates and Yemen, homosexual activity carries the death penalty.[243][244][245] In others, such as Algeria, Maldives, Malaysia, Qatar, Somalia and Syria, it is illegal.[246][247][248]

Same-sex sexual intercourse is legal in 20 Muslim-majority nations (Albania, Azerbaijan, Bahrain, Bosnia and Herzegovina, Burkina Faso, Chad, Djibouti, Guinea-Bissau, Lebanon, Iraq, Jordan, Kazakhstan, Kosovo, Kyrgyzstan, Mali, Niger, Tajikistan, Turkey, West Bank (State of Palestine), and most of Indonesia (except in Aceh and South Sumatra provinces, where bylaws against LGBT rights have been passed), as well as Northern Cyprus). In Albania, Lebanon, and Turkey, there have been discussions about legalizing same-sex marriage.[249][250][251] Homosexual relations between females are legal in Kuwait, Turkmenistan and Uzbekistan, but homosexual acts between males are illegal.[252][253][254]

Most Muslim-majority countries and the Organisation of Islamic Cooperation (OIC) have opposed moves to advance LGBT rights at the United Nations, in the General Assembly and/or the UNHRC. In May 2016, a group of 51 Muslim states blocked 11 gay and transgender organizations from attending a high-level meeting at the United Nations on ending AIDS.[255][256][257] However, Albania, Guinea-Bissau and Sierra Leone have signed a UN Declaration supporting LGBT rights.[258][259] Kosovo as well as the (internationally not recognized) Muslim-majority Turkish Republic of Northern Cyprus also have anti-discrimination laws in place.[250]

In June 12, 2016, at least 49 people were killed and 50 injured in a mass shooting at Pulse gay nightclub in Orlando, Florida, in the deadliest mass shooting by an individual and the deadliest incident of violence against LGBT people in U.S. history. The shooter, Omar Mateen, pledged allegiance to ISIL. The act has been described by investigators as an Islamist terrorist attack and a hate crime.[260][261][262] Upon further review, investigators indicated Omar Mateen showed few signs of radicalization, suggesting that the shooter's pledge to ISIL may have been a calculated move to garner more news coverage.[263] Afghanistan,[264] Algeria,[265] Azerbaijan,[266] Bahrain,[267] Djibouti,[268] Egypt,[269] Iraq,[270] Iran,[271] Pakistan,[264] Saudi Arabia,[272] Turkey,[273] Turkmenistan and United Arab Emirates condemned the attack.[274][275] Many American Muslims, including community leaders, swiftly condemned the attack.[276][277] Prayer vigils for the victims were held at mosques across the country.[278] The Florida mosque where Mateen sometimes prayed issued a statement condemning the attack and offering condolences to the victims.[279] The Council on American–Islamic Relations called the attack "monstrous" and offered its condolences to the victims. CAIR Florida urged Muslims to donate blood and contribute funds in support of the victims' families.[276][280]

Domestic violence

Use, by country, of Sharia for legal matters relating to women:
  Sharia plays no role in the judicial system
  Sharia applies in personal status issues
  Sharia applies in full, including criminal law
  Regional variations in the application of sharia

In Islam, many interpretations of Surah, An-Nisa, 34 in the Quran find that a husband hitting a wife is allowed.[281]

While some authors, such as Phyllis Chesler, argue that Islam is connected to violence against women, especially in the form of honor killings,[282] others, such as Tahira Shahid Khan, a professor specializing in women's issues at the Aga Khan University in Pakistan, argue that it is the domination of men and inferior status of women in society that lead to these acts, not the religion itself.[283][284] Public (such as through the media) and political discourse debating the relation between Islam, immigration, and violence against women is highly controversial in many Western countries.[285]

Many scholars[12][286] claim Shari'a law encourages domestic violence against women, when a husband suspects nushuz (disobedience, disloyalty, rebellion, ill conduct) in his wife.[287] Other scholars claim wife beating, for nashizah, is not consistent with modern perspectives of Qur'an.[288] Some conservative translations find that Muslim husbands are permitted to act what is known in Arabic as Idribuhunna with the use of "light force," and sometimes as much as to strike, hit, chastise, or beat.[281][289][290] [lower-alpha 1][lower-alpha 2][293] Contemporary Egyptian scholar Abd al-Halim Abu Shaqqa refers to the opinions of jurists Ibn Hajar al-Asqalani, a medieval Shafiite Sunni scholar of Islam who represents the entire realm of Shaykh al Islam, and al-Shawkani, a Yemeni Salafi scholar of Islam, jurist and reformer, who state that hitting should only occur in extraordinary cases.[294] Some Islamic scholars and commentators have emphasized that hitting, even where permitted, are not to be harsh.[289][295][lower-alpha 3]

Other interpretations of the verse claim it does not support hitting a woman, but separating from her. Variations in interpretation are due to different schools of Islamic jurisprudence, histories and politics of religious institutions, conversions, reforms, and education.[297]

Although Islam permits women to divorce for domestic violence, they are subject to the laws of their nation which might make it quite difficult for a woman to obtain a divorce.[298][299][300] In deference to Surah 4:34, many nations with Shari'a law have refused to consider or prosecute cases of domestic abuse.[301][302][303]


Islamic terrorism is, by definition, terrorist acts committed by Muslim groups or individuals who profess Islamic or Islamist motivations or goals. Islamic terrorists have relied on particular interpretations of the tenets of the Quran and the Hadith, citing these scriptures to justify violent tactics including mass murder, genocide, child-molestation and slavery.[304] In recent decades, incidents of Islamic terrorism have occurred on a global scale, occurring not only in Muslim-majority states in Africa and Asia, but also abroad in Europe, Russia, and the United States, and such attacks have targeted Muslims and non-Muslims.[305] In a number of the worst-affected Muslim-majority regions, these terrorists have been met by armed, independent resistance groups,[306] state actors and their proxies, and politically liberal Muslim protesters.[307]

Pacifism in Islam

Main article: Pacifism in Islam

Islam does not have any normative tradition of pacifism.[15] However, different Muslim movements through history had linked pacifism with Muslim theology.[308][309][310][311]

Perception of Islam

Negative perceptions

Philip W. Sutton and Stephen Vertigans describe Western views on Islam as based on a stereotype of it as an inherently violent religion, characterizing it as a 'religion of the sword'. They characterize the image of Islam in the Western world as "dominated by conflict, aggression, 'fundamentalism', and global-scale violent terrorism."[312]

Juan Eduardo Campo writes that, "Europeans (have) viewed Islam in various ways: sometimes as a backward, violent religion; sometimes as an Arabian Nights fantasy; and sometimes as a complex and changing product of history and social life."[313] Robert Gleave writes that, "at the centre of popular conceptions of Islam as a violent religion are the punishments carried out by regimes hoping to bolster both their domestic and international Islamic credentials."[314]

The 9/11 attack on the US has led many non-Muslims to indict Islam as a violent religion.[315] According to Corrigan and Hudson, "some conservative Christian leaders (have) complained that Islam (is) incompatible with what they believed to be a Christian America."[316] Examples of evangelical Christians who have expressed such sentiments include Franklin Graham, an American Christian evangelist and missionary, and Pat Robertson, an American media mogul, executive chairman, and a former Southern Baptist minister.[317] According to a survey conducted by LifeWay Research, a research group affiliated with the Southern Baptist Convention, said that two out of three Protestant pastors believe that Islam is a "dangerous" religion. Ed Stetzer, President of LifeWay, said "It's important to note our survey asked whether pastors viewed Islam as 'dangerous,' but that does not necessarily mean 'violent." [318]


Main article: Islamophobia

Islamophobia denotes the prejudice against, hatred towards, or fear of the religion of Islam or Muslims.[319][320] While the term is now widely used, both the term itself and the underlying concept of Islamophobia have been heavily criticized.[321][322] In order to differentiate between prejudiced views of Islam and secularly motivated criticism of Islam other terms have been proposed.[323] The causes and characteristics of Islamophobia are still debated. Some commentators have posited an increase in Islamophobia resulting from the September 11 attacks, while others have associated it with the increased presence of Muslims in the United States, the European Union and other secular nations. Steven Salaita contends that indeed since 9/11, Arab Americans have evolved from what Nadine Naber described as an invisible group in the United States into a highly visible community that directly or indirectly has an effect on the United States' culture wars, foreign policy, presidential elections and legislative tradition.[324]

Favorable perceptions

In response to these perceptions, Ram Puniyani, a secular activist and writer, says that "Islam does not condone violence but, like other religions, does believe in self-defence".[325]

Mark Juergensmeyer describes the teachings of Islam as ambiguous about violence. He states that, like all religions, Islam occasionally allows for force while stressing that the main spiritual goal is one of nonviolence and peace.[326] Ralph W. Hood, Peter C. Hill and Bernard Spilka write in The Psychology of Religion: An Empirical Approach, "Although it would be a mistake to think that Islam is inherently a violent religion, it would be equally inappropriate to fail to understand the conditions under which believers might feel justified in acting violently against those whom their tradition feels should be opposed."[327]

Similarly, Chandra Muzaffar, a political scientist, Islamic reformist and activist, says, "The Quranic exposition on resisting aggression, oppression and injustice lays down the parameters within which fighting or the use of violence is legitimate. What this means is that one can use the Quran as the criterion for when violence is legitimate and when it is not."[328]

Religion of peace

Main article: Religion of peace


Pew research in 2010 found that in Jordan, Lebanon, and Nigeria, roughly 50% of Muslims had favourable views of Hezbollah, and that Hamas also saw similar support.[329] Counter-terrorism researchers suggests that support for suicide bombings is rooted in opposition to real or perceived foreign military occupation, rather than Islam, according to a Department of Defense-funded study by University of Chicago researcher Robert Pape.[330]

Writing for the National Post, Barbara Kay stated that honor killing is not strictly a Muslim phenomenon and that it is enabled by factors including sexism, dowries and a lack of a dependable legal system. Nevertheless, Kay says that the murders are a Muslim phenomenon in the West, where 95% of honor killings are perpetrated by "Muslim fathers and brothers or their proxies". Kay warns that females do not dissent as one might expect either: The women may describe victims of honor killing as having needed punishment.[331]

The Pew Research Center also found that support for the death penalty as punishment for "people who leave the Muslim religion" was 86% in Jordan, 84% in Egypt, 76% in Pakistan, 80% in Nigeria (all very large Muslim populations) and yet lower in some other countries.[329] The different factors at play (e.g. sectarianism, poverty, etc.) and their relative impacts are not clarified.

According to 2006 data, Pew says that 46% of Nigerian Muslims, 29% of Jordan Muslims, 28% of Egyptian Muslims, 15% of British Muslims, and 8% of American Muslims thought suicide bombings are often or sometimes justified.[332] The figure was unchanged - still 8% - for American Muslims by 2011.[333]

Polls have found Muslim-Americans to report less violent views than any other religious group in America. 89% of Muslim-Americans claimed that the killing of civilians is never justified, compared to 71% of Catholics and Protestants, 75% of Jews, and 76% of atheists and non-religious groups.[334]

The Pew Research Center's 2013 poll showed that the majority of 14,244 Muslim, Christian and other respondents in 14 countries with substantial Muslim populations are concerned about Islamic extremism and hold negative views on known terrorist groups.[335]

Gallup poll

Gallup poll collected extensive data in a project called "Who Speaks for Islam?". John Esposito and Dalia Mogahed present data relevant to Islamic views on peace, and more, in their book Who Speaks for Islam? The book reports Gallup poll data from random samples in over 35 countries using Gallup's various research techniques (e.g. pairing male and female interviewers, testing the questions beforehand, communicating with local leaders when approval is necessary, travelling by foot if that is the only way to reach a region, etc.) [336]

There was a great deal of data. It suggests, firstly, that individuals who dislike America and consider the September 11 attacks to be "perfectly justified" form a statistically distinct group, with much more extreme views. The authors call this 7% of Muslims "Politically Radicalized".[336] They chose that title "because of their radical political orientation" and clarify "we are not saying that all in this group commit acts of violence. However, those with extremist views are a potential source for recruitment or support for terrorist groups."[337] The data also indicates that poverty is not simply to blame for the comparatively radical views of this 7% of Muslims, who tend to be better educated than moderates.[337]

The authors say that, contrary to what the media may indicate, most Muslims believe that the September 11 attacks cannot actually be justified at all. The authors called this 55% of Muslims "Moderates". Included in that category were an additional 12% who said the attacks almost cannot be justified at all (thus 67% of Muslims were classified as Moderates). 26% of Muslims were neither moderates nor radicals, leaving the remaining 7% called "Politically Radicalized". Esposito and Mogahed explain that the labels should not be taken as being perfectly definitive. Because there may be individuals who would generally not be considered radical, although they believe the attacks were justified, or vice versa.[336]

See also


  1. Abdullah Yusuf Ali in his Quranic commentary states that: "In case of family jars four steps are mentioned, to be taken in that order. (1) Perhaps verbal advice or admonition may be sufficient; (2) if not, sex relations may be suspended; (3) if this is not sufficient, some slight physical correction may be administered; but Imam Shafi'i considers this inadvisable, though permissible, and all authorities are unanimous in deprecating any sort of cruelty, even of the nagging kind, as mentioned in the next clause; (4) if all this fails, a family council is recommended in passage 4:35."[291]
  2. Sheikh Yusuf al-Qaradawi, head of the European Council for Fatwa and Research, says that "If the husband senses that feelings of disobedience and rebelliousness are rising against him in his wife, he should try his best to rectify her attitude by kind words, gentle persuasion, and reasoning with her. If this is not helpful, he should sleep apart from her, trying to awaken her agreeable feminine nature so that serenity may be restored, and she may respond to him in a harmonious fashion. If this approach fails, it is permissible for him to beat her lightly with his hands, avoiding her face and other sensitive parts."[292]
  3. Ibn Kathir Ad-Damishqee records in his Tafsir Al-Qur'an Al-Azim that "Ibn `Abbas and several others said that the Ayah refers to a beating that is not violent. Al-Hasan Al-Basri said that it means, a beating that is not severe."[296]


  1. "Oxford Dictionaries - Definition of sharia in English". Oxford University Press. Retrieved 22 March 2016.
  2. John L. Esposito, Natana J. DeLong-Bas (2001), Women in Muslim family law, p. 2. Syracuse University Press, ISBN 978-0815629085. Quote: "[...], by the ninth century, the classical theory of law fixed the sources of Islamic law at four: the Quran, the Sunnah of the Prophet, qiyas (analogical reasoning), and ijma (consensus)."
  3. 1 2 Hisham M. Ramadan (2006), Understanding Islamic Law: From Classical to Contemporary, Rowman Altamira, ISBN 978-0759109919, pp. 6-21
  4. Esposito, John (1999). The Oxford history of Islam. New York: Oxford University Press. ISBN 978-0-19-510799-9.
  5. Otto, Jan (2010). Sharia incorporated a comparative overview of the legal systems of twelve Muslim countries in past and present. Leiden: Leiden University Press. ISBN 978-90-8728-057-4.
  6. Nisrine Abiad (2008), Sharia, Muslim States and International Human Rights Treaty Obligations, British Institute of International and Comparative Law, ISBN 978-1905221417
  7. Hamann, Katie (December 29, 2009). "Aceh's Sharia Law Still Controversial in Indonesia". Voice of America. Retrieved September 19, 2011.
  8. Staff (January 3, 2003). "Analysis: Nigeria's Sharia Split". BBC News. Retrieved September 19, 2011. "Thousands of people have been killed in fighting between Christians and Muslims following the introduction of sharia punishments in northern Nigerian states over the past three years".
  9. . Library of Congress Country Studies: Sudan:. "The factors that provoked the military coup, primarily the closely intertwined issues of Islamic law and of the civil war in the south, remained unresolved in 1991. The September 1983 implementation of the sharia throughout the country had been controversial and provoked widespread resistance in the predominantly non-Muslim south ... Opposition to the sharia, especially to the application of hudud (sing., hadd), or Islamic penalties, such as the public amputation of hands for theft, was not confined to the south and had been a principal factor leading to the popular uprising of April 1985 that overthrew the government of Jaafar an Nimeiri".
  10. Encyclopædia Britannica, see article on Shari'ah (Islamic law), 2006
  11. Abdullahi Ahmed An-Na’im, Islamic Foundations of Religious Human Rights, in RELIGIOUS HUMAN RIGHTS IN GLOBAL PERSPECTIVE : RELIGIOUS PERSPECTIVES, pp 351-356 (John Witte Jr. & Johan D. van der Vyver eds., 1996).
  12. 1 2 Hajjar, Lisa. "Religion, state power, and domestic violence in Muslim societies: A framework for comparative analysis." Law & Social Inquiry 29.1 (2004); see pages 1-38
  13. Al-Suwaidi, J. (1995). Arab and western conceptions of democracy; in Democracy, war, and peace in the Middle East (Editors: David Garnham, Mark A. Tessler), Indiana University Press, see Chapters 5 and 6; ISBN 978-0253209399
  14. Aboul-Enein, H. Yousuf; Sherifa, Zuhur. Islamic Rulings on Warfare. DIANE Publishing. pp. 3–4. ISBN 978-1-4289-1039-3.
  15. 1 2 Johnson, James Turner (1 November 2010). "1". Holy War Idea in Western and Islamic Traditions. Penn State Press. pp. 20–25. ISBN 0-271-04214-1.
  16. 1 2 3 4 Morgan, Diane (2010). Essential Islam: A Comprehensive Guide to Belief and Practice. ABC-CLIO. p. 87. ISBN 0-313-36025-1. Retrieved 5 January 2011.
  17. 1 2 3 Khaled M. Abou El Fadl (13 October 2009). The Great Theft. HarperCollins. p. 221. ISBN 978-0-06-174475-4.
  18. Al-Dawoody, Ahmed (15 February 2011). The Islamic Law of War: Justifications and Regulations. Palgrave Macmillan. p. 56. ISBN 978-0-230-31994-3. Seventeen derivatives of jihād occur altogether forty-one times in eleven Meccan texts and thirty Medinan ones, with the following five meanings: striving because of religious belief (21), war (12), non-Muslim parents exerting pressure, that is, jihād, to make their children abandon Islam (2), solemn oaths (5), and physical strength (1)
  19. Wendy Doniger, ed. (1999). Merriam-Webster's Encyclopedia of World Religions. Merriam-Webster. p. 571. ISBN 0-87779-044-2., Jihad.
  20. Josef W. Meri, ed. (2005). Medieval Islamic Civilization: An Encyclopedia. Routledge. p. 419. ISBN 0-415-96690-6., Jihad.
  21. Esposito, John L. (1988). Islam: The Straight Path. Oxford University Press. p. 95. ISBN 978-0-19-504398-3.
  22. "Part 2: Islamic Practices". Retrieved 27 August 2014.
  23. Jihad and the Islamic Law of War Archived 21 July 2015 at the Wayback Machine.
  24. Rudolph Peters, Islam and Colonialism. The doctrine of Jihad in Modern History (Mouton Publishers, 1979), p. 118
  25. "Jihad". Retrieved 20 February 2012.
  26. DeLong-Bas (2010), p. 3
  27. Lloyd Steffen, Lloyd (2007). Holy War, Just War: Exploring the Moral Meaning of Religious Violence. Rowman& Littlefield. p. 221.
  28. cf., e.g., BBC news article Libya's Gaddafi urges 'holy war' against Switzerland
  29. Rudolph Peters, Jihad in Medieval and Modern Islam (Brill, 1977), p. 3
  30. Patricia Crone, Medieval Islamic Political Thought (Edinburgh University Press, 2005), p. 363
  31. Khaled Abou El Fadl stresses that the Islamic theological tradition did not have a notion of "Holy war" (in Arabic al-harb al-muqaddasa), which is not an expression used by the Quranic text or Muslim theologians. In Islamic theology, war is never holy; it is either justified or not. He further states that the Quran does not use the word jihad to refer to warfare or fighting; such acts are referred to as qital. (source:Abou El Fadl, Khaled (January 23, 2007). The Great Theft: Wrestling Islam from the Extremists. HarperOne. p. 222. ISBN 978-0061189036.
  32. Bernard Lewis, The Political Language of Islam (University of Chicago Press, 1988), p. 72. Cf. William M. Watt, Islamic Conceptions of the Holy War in: Thomas P. Murphy, The Holy War (Ohio State University Press, 1974), p. 143
  33. Ghamidi, Javed (2001). "The Islamic Law of Jihad". Mizan. Dar ul-Ishraq. OCLC 52901690.
  34. 1 2 3 Rudolph Peters. "Jihād". The Oxford Encyclopedia of the Islamic World. Retrieved 26 February 2016. (subscription required (help)).
  35. Jonathon P. Berkey, The Formation of Islam; Cambridge University Press: Cambridge, 2003
  36. Berkey, Jonathan Porter (2003). The Formation of Islam: Religion and Society in the Near East, 600-1800. Cambridge University Press. p. 73. ISBN 978-0-521-58813-3. The Koran is not a squeamish document, and exhort the believers to jihad. Verses such as "Do not follow the unbelievers, but struggle against them mightily" (25.52) and "fight [those who have been given a revelation] who do not believe in God and the last day" (9.29) may originally have been directed against Muhammad's local enemies, the pagans of Mecca or the Jews of Medina, but could be redirected once a new set of enemies appeared.
  37. William M. Watt: Muhammad at Medina, p.4; q.v. the Tafsir regarding these verses
  38. David Cook, Understanding Jihad; University of California Press: CA, 2005
  39. Edwards, Richard; Zuhur, Sherifa. The Encyclopedia of the Arab-Israeli Conflict: A Political, Social, and. ABC-CLIO. p. 553. Retrieved 30 September 2015.
  40. 1 2 Kohlberg, Etan, "The Development of the Imami Shi'i Doctrine of Jihad." Zeitschrift der Deutschen Morgen Laendischen Gesellschaft, 126 (1976), pp.64-86, esp. pp.78-86
  41. Streusand,, Douglas E. (September 1997). "What Does Jihad Mean?". Middle East Quarterly: 9–17. Shi'i writers make a further qualification, that offensive jihad is permissible only in the presence of the expected Imam-and thus not under current circumstances.
  42. Coates, David, ed. (2012). The Oxford Companion to American Politics, Volume 2. Oxford University Press. p. 16.
  43. Aboul-Enein, H. Yousuf and Zuhur, Sherifa,"Islamic Rulings on Warfare", Strategic Studies Institute, US Army War College, Diane Publishing Co., Darby PA, ISBN 1-4289-1039-5 pg. 6.
  44. William Montgomery Watt (1974). Muhammad: Prophet and Statesman. Oxford University Press. p. 105. Retrieved 26 February 2016.
  45. Richard A. Gabriel (2007). Muhammad: Islam's First Great General. University of Oklahoma Press. p. 73. ISBN 978-0-8061-3860-2. Retrieved 13 December 2015.
  46. Mathewes, Charles T. (2010). Understanding Religious Ethics. John Wiley and Sons. p. 197.
  47. Gupta, Dipak K. (2008). Understanding terrorism and political violence: the life cycle of birth, growth, transformation, and demise. Taylor & Francis. p. 232.
  48. Roy, Saberi. "Islam, Islamic Fundamentalism and Islamic Terrorism". Globalpolitician. Archived from the original on 15 October 2013. Retrieved 17 March 2012.
  49. Sam Harris Who Are the Moderate Muslims?
  50. Sohail H. Hashmi, David Miller, Boundaries and Justice: diverse ethical perspectives, Princeton University Press, p.197
  51. Khaleel Muhammad, professor of religious studies at San Diego State University, states, regarding his discussion with the critic Robert Spencer, that "when I am told ... that Jihad only means war, or that I have to accept interpretations of the Qur'an that non-Muslims (with no good intentions or knowledge of Islam) seek to force upon me, I see a certain agendum developing: one that is based on hate, and I refuse to be part of such an intellectual crime."
  52. Quran 9:12–15
  53. Quran 42:39
  54. Ishay, Micheline. The history of human rights. Berkeley: University of California. p. 45. ISBN 0-520-25641-7.
  55. Article on Jihad by Dr. G. W. Leitner (founder of The Oriental Institute, UK) published in Asiatic Quarterly Review, 1886. ("Jihad, even when explained as a righteous effort of waging war in self defense against the grossest outrage on one's religion, is strictly limited..")
  56. Oliver Leaman (2006). Jewish Thought. Taylor & Francis. p. 69. ISBN 978-0-203-08868-5. Retrieved 13 December 2015.
  57. Morgan, Diane (2010). Essential Islam: a comprehensive guide to belief and practice. ABC-CLIO. p. 89.
  58. Nielsen, Jørgen S.; Christoffersen, Lisbet (2010). Shariʻa as discourse: legal traditions and the encounter with Europe. Ashgate Publishing, Ltd. p. 39.
  59. Bennett, Clinton (2005). Muslims and modernity: an introduction to the issues and debates. Continuum International Publishing Group. p. 220.
  60. Boulding, Elise. "Cultures of Peace: The Hidden Side of History", p. 57
  61. Howard, Lawrence. "Terrorism: Roots, Impact, Responses", p. 48
  62. Churchill, Robert Paul. "Interpreting the Jihad of Islam: Muslim militarism vs. Muslim pacifism", 1995
  63. Muhammad ibn Isma'il Bukhari, The Translation of the Meaning of Sahih al-Bukhari, trans. Muhammad Muhsin Khan, 8 vols. (Medina: Dar al-Fikr: 1981), 4:34–204. Quoted in Streusand, Douglas E. (September 1997). "What Does Jihad Mean?". Middle East Quarterly: 9–17. In hadith collections, jihad means armed action; for example, the 199 references to jihad in the most standard collection of hadith, Sahih al-Bukhari, all assume that jihad means warfare.
  64. 1 2 Richard Stephen Voss, Identifying Assumptions in the Hadith/Sunnah Debate,, Accessed December 5, 2013
  65. Aisha Y. Musa, The Qur’anists, Florida International University, accessed May 22, 2013.
  66. "Suspension of Jihad". Archived from the original on 2012-04-14. Retrieved September 3, 2014.
  67. 1 2 3 Simon Ross Valentine (2008). Islam and the Ahmadiyya Jama'at: History, Belief, Practice. C. Hurst & Co. pp. 190–208. ISBN 978-1-85065-916-7.
  68. "True Concept of Islamic Jihad". Review of Religions. Retrieved September 3, 2014.
  69. Maulana Muhammad Ali (2008). The Founder of the Ahmadiyya Movement. A.a.i.i.l. (u.k.). pp. 74–79. ISBN 978-1-906109-02-8.
  70. Malik, Mansoor Ahmad (27 November 2015). "Islam Condemns Terrorism". Reykjavík: The Reykjavík Grapevine. Retrieved 29 November 2015.
  71. Ali, Maulana Muhammad; The Religion of Islam (6th Edition), Ch V "Jihad" Page 414 "When shall war cease". Published byThe Lahore Ahmadiyya Movement
  72. Sadr-u-Din, Maulvi. "Quran and War", page 8. Published by The Muslim Book Society, Lahore, Pakistan.
  73. The Quranic Commandments Regarding War/Jihad An English rendering of an Urdu article appearing in Basharat-e-Ahmadiyya Vol. I, p. 228-232, by Dr. Basharat Ahmad; published by the Lahore Ahmadiyya Movement for the Propagation of Islam
  74. Ali, Maulana Muhammad. The Religion of Islam (6th Edition), Ch V "Jihad". pp 411-413. Published by The Lahore Ahmadiyya Movement. link
  75. 1 2 Friedmann, Jihād in Ahmadī Thought, ISBN 965-264-014-X, p. 227
  76. 1 2 Naeem Osman Memon (1994). An Enemy a Disbeliever a Liar, Claims of Hadhrat Ahmad. Islam International Publications. ISBN 1-85372-552-8.
  77. 1 2 B.A Rafiq (1978). Truth about Ahmadiyyat, Reflection of all the Prophets. London Mosque. ISBN 0-85525-013-5.
  78. Mirza Tahir Ahmad (1998). Revelation Rationality Knowledge and Truth, Future of Revelation. Islam International Publications. ISBN 1-85372-640-0.
  79. 1 2 Colin Lago (2011). The Handbook of Transcultural Counselling and Psychotherapy. McGraw-Hill Education (UK). p. 312. ISBN 978-0-335-23851-4. Retrieved 13 December 2015.
  80. "Localising Diaspora: the Ahmadi Muslims and the problem of multi-sited ethnography". Association of Social Anthropologists, 2004 conference panel.
  81. Dammer, Harry; Albanese, Jay (4 January 2013). Comparative Criminal Justice Systems. Cengage Learning. p. 60. ISBN 1-285-06786-X. Retrieved 19 May 2015.
  82. Criminal Law Oxford Islamic Studies, Oxford University Press (2013)
  83. Mohamed S. El-Awa (1993). Punishment In Islamic Law. American Trust Publications. pp. 1–68. ISBN 978-0892591428.
  84. Silvia Tellenbach (2015). The Oxford Handbook of Criminal Law (Ed: Markus D. Dubber and Tatjana Hornle). Oxford University Press. pp. 251–253. ISBN 978-0199673599.
  85. 1 2 Mark Cammack (2012), Islamic Law and Crime in Contemporary Courts, BERKELEY J. OF MIDDLE EASTERN & ISLAMIC LAW, Vol. 4, No.1, pp. 1-7
  86. Tabassum, Sadia (20 April 2011). "Combatants, not bandits: the status of rebels in Islamic law". International Review of the Red Cross. 93 (881): 121–139. doi:10.1017/S1816383111000117.
  87. Omar A. Farrukh (1969). Ibn Taimiyya on Public and Private Law in Islam or Public Policy in Islamic Jurisprudence.
  88. M. Cherif Bassiouni (1997), Crimes and the Criminal Process, Arab Law Quarterly, Vol. 12, No. 3 (1997), pp. 269-286
  89. 1 2 Mohamed S. El-Awa (1993), Punishment In Islamic Law, American Trust Publications, ISBN 978-0892591428, pp. 1-68
  90. Silvia Tellenbach (2015), The Oxford Handbook of Criminal Law (Ed: Markus D. Dubber and Tatjana Hornle), Oxford University Press, ISBN 978-0199673599, pp. 251-253
  91. 1 2 Oliver Leaman (2013), Controversies in Contemporary Islam, Routledge, ISBN 978-0415676137, Ch. 9, pp.124-127
  92. Z. Mir-Hosseini (2011), Criminalizing sexuality: zina laws as violence against women in Muslim contexts, SUR-International Journal on Human Rights, 8(15), pp 7-33
  93. Kecia Ali (2006), Sexual Ethics and Islam, ISBN 978-1851684564, Chapter 4.
  94. 1 2 3 Nisrine Abiad (2008), Sharia, Muslim States and International Human Rights Treaty Obligations, British Institute of International and Comparative Law, ISBN 978-1905221417, pp. 24-25
  95. Otto, Jan Michiel. Sharia and National Law in Muslim Countries. Amsterdam University Press. pp. 663, 31. ISBN 978-90-8728-048-2.
  96. Philip Reichel and Jay Albanese (2013), Handbook of Transnational Crime and Justice, SAGE publications, ISBN 978-1452240350, pp. 36-37
  97. Richard J. Terrill (7 April 2010). World Criminal Justice Systems: A Comparative Survey. Routledge. p. 629. ISBN 978-1-4377-5577-0. Retrieved 13 December 2015.
  98. Hadd Oxford Dictionary of Islam, Oxford University Press (2012)
  99. John L. Esposito (2004), The Islamic World: Past and Present, Oxford University Press, ISBN 978-0397512164, pp. 82-83
  100. Mohamed S. El-Awa (1993), Punishment In Islamic Law, American Trust Publications, ISBN 978-0892591428
  101. Shahid M. Shahidullah, Comparative Criminal Justice Systems: Global and Local Perspectives, ISBN 978-1449604257, pp. 370-372
  102. Tahir Wasti (2009), The Application of Islamic Criminal Law in Pakistan: Sharia in Practice, Brill Academic, ISBN 978-9004172258, pp. 12-13
  103. Encyclopedia Britannica, Qisas (2012)
  104. Qur'an, V: 45.
  105. Court orders Iranian man blinded, BBC, 28 November 2008
  106. "Acid blinding sentence postponed by Iran after international outcry", The Guardian, UK, 14 May 2011
  107. Tazir Oxford Islamic Studies, Oxford University Press
  108. Rudolph Peters (2006). Crime and Punishment in Islamic Law: Theory and Practice from the Sixteenth to the Twenty-First Century. Cambridge University Press. p. 36.
  109. Rudolph Peters (2006). Crime and Punishment in Islamic Law: Theory and Practice from the Sixteenth to the Twenty-First Century. Cambridge University Press. p. 101.
  110. 1 2 3 4 Hood, Roger; Hoyle, Carolyn (2015). The Death Penalty: A Worldwide Perspective. Oxford University Press. p. 178. ISBN 978-0-19-870173-6.
  111. Janine di Giovanni, "When It Comes to Beheadings, ISIS has Nothing Over Saudi Arabia", Newsweek, 14 October 2014.
  112. Russell Goldman, "Saudi Arabia's Beheading of a Nanny Followed Strict Procedures",, 11 January 2013.
  113. Justine Drennen (January 20, 2015). "Saudi Arabia's Beheadings Are Public, but It Doesn't Want Them Publicized". Foreign Policy Magazine.
  114. 1 2 "Death Penalty Database: Iran",, Cornell Law School, accessed 13 June 2016.
  115. "Iran / death penalty A state terror policy" (PDF). International Federation for Human Rights. 16 March 2010. p. 38. Retrieved 5 April 2016.
  116. Kronenwetter, Michael. Capital Punishment: A Reference Handbook. ABC-CLIO. ISBN 9781576074329.
  117. Sara Hussein and Rita Daou (3 September 2014). "Jihadists beheadings sow fear, prompt Muslim revulsion". Yahoo! News. AFP. Retrieved 3 September 2014.
  118. James Watson, Anne Hill (2015). Dictionary of Media and Communication Studies. Bloomsbury Publishing USA. p. 325.
  119. "Muslim World Reacts To ISIS Brutal Tactics, Beheading Of US Journalist James Foley". International Business Times. 22 August 2014. Retrieved November 24, 2014.
  120. Alia Brahami (2010). Sibylle Scheipers, ed. Terrorist Beheadings: Politics and Reciprocity. Prisoners in War. Oxford University Press. p. 551.
  121. "Hezbollah, Hamas denounce beheadings". Associated Press/NBC News. May 13, 2004. Retrieved August 10, 2016.
  122. "Even al-Qaeda denounced beheading videos. Why the Islamic State brought them back". Associated Press/NBC News. August 22, 2014. Retrieved August 10, 2016.
  123. 1 2 E. Ann Black, Hossein Esmaeili and Nadirsyah Hosen (2014), Modern Perspectives on Islamic Law, ISBN 978-0857934475, pp. 222-223
  124. Rudolph Peters, Crime and Punishment in Islamic Law, Cambridge University Press, ISBN 978-0521796705, pp. 37
  125. Muhsan The Oxford Dictionary of Islam (2012)
  126. 1 2 Ismail Poonwala (2007), The Pillars of Islam: Laws pertaining to human intercourse, Oxford University Press, ISBN 978-0195689075, pp. 448-457
  127. Al Muwatta 41 1.8
  128. Blasphemy at
  129. Wiederhold, Lutz. "Blasphemy against the Prophet Muhammad and his companions (sabb al-rasul, sabb al-sahabah): The introduction of the topic into shafi'i legal literature and its relevance for legal practice under Mamluk rule."Journal of semitic studies 42.1 (1997): 39-70.
  130. 1 2 Abdullah Saeed; Hassan Saeed (2004). Freedom of Religion, Apostasy and Islam. Ashgate. pp. 38–39. ISBN 978-0-7546-3083-8.
  131. 1 2 Saeed, Abdullah; Hassan Saeed (2004). Freedom of religion, apostasy and Islam. Ashgate Publishing, Ltd. p. 85. ISBN 978-0-7546-3083-8.
  132. 1 2
    • Siraj Khan, Blasphemy against the Prophet, in Muhammad in History, Thought, and Culture (Editors: Coeli Fitzpatrick and Adam Hani Walker), ISBN 978-1610691772, pp. 59-67
    • R Ibrahim (2013), Crucified Again, ISBN 978-1621570257, pp. 100-101
  133. Brian Winston (2014), The Rushdie Fatwa and After: A Lesson to the Circumspect, Palgrave Macmillan, ISBN 978-1137388599, pp. 74, Quote - "(In the case of blasphemy and Salman Rushdie) the death sentence it pronounced was grounded in a jurisprudential gloss on the Surah al-Ahzab (33:57)"
  134. Richard T. Antoun (2014). Muslim Preacher in the Modern World: A Jordanian Case Study in Comparative Perspective. Princeton University Press. p. 194. ISBN 978-1-4008-6007-4. All the negative connotations of factionalism, social dissension, blasphemy, and their logical conclusions conspiracy, military confrontation and damnation - are captured in the title of this sura, al-Ahzab (The Confederates, Book 33)
  135. See the articles about Islamic jurisdictions under Blasphemy law.
  136. P Smith (2003), Speak No Evil: Apostasy, Blasphemy and Heresy in Malaysian Syariah Law, UC Davis Journal Int'l Law & Policy, 10, pp. 357-373;
    • N Swazo (2014), The Case Of Hamza Kashgari: Examining Apostasy, Heresy, And Blasphemy Under Sharia, The Review of Faith & International Affairs, 12(4), pp. 16-26
  137. "Blasphemy Salman Rushdie". Constitutional Rights Foundation. 2009. Archived from the original on 18 August 2009. Retrieved 10 July 2009.
  138. Doran, Michael Scott (January–February 2004). "The Saudi Paradox". Foreign Affairs. Archived from the original on 4 December 2005. Retrieved 27 July 2009.
  139. Byzantium and the Arabs in the Sixth Century, Volume 2, Part 2, p.179, Irfan Shahîd. Also see footnote
  140. Husayn Haykal, Muhammad (2008). The Life of Muhammad. Selangor: Islamic Book Trust. p. 250. ISBN 978-983-9154-17-7.
  141. The Encyclopaedia of Islam, New Edition, Vol. VII, 1993, p. 872
  142. "Sirat Rasul Allah" by Ibn Ishaq, p.135-136
  143. Muhammad Saed Abdul-Rahman (2009). The Meaning and Explanation of the Glorious Qur'an. 3 (2 ed.). MSA Publication Limited. p. 412. ISBN 978-1-86179-769-8. Retrieved 26 February 2016.
  144. Frank Griffel, Apostasy, in (Editor: Gerhard Bowering et al.) The Princeton Encyclopedia of Islamic Political Thought, ISBN 978-0691134840, pp 40-41; Diane Morgan (2009), Essential Islam: A Comprehensive Guide to Belief and Practice, ISBN 978-0313360251, pages 182-183
  145. Hebatallah Ghali (2006), Rights of Muslim Converts to Christianity Ph.D. Thesis, Department of Law, School of Humanities and Social Sciences, The American University in Cairo, Egypt, page 2; “Whereas apostate (murtad) is the person who commits apostasy (’rtidad), that is the conscious abandonment of allegiance, and renunciation of a religious faith or abandonment of a previous loyalty.”
  146. 1 2 Abdelhadi, Magdi (27 March 2006). "What Islam says on religious freedom". BBC News. Retrieved 14 October 2009.
  147. Sudan woman faces death for apostasy BBC News (May 15, 2014); Quote "There is a long-running debate in Islam over whether apostasy is a crime. Some liberal scholars hold the view that it is not (...), Others say apostasy is (...). The latter is the dominant view (...)."
  148. Peters & De Vries (1976), Apostasy in Islam, Die Welt des Islams, Vol. 17, Issue 1/4, pp 16
  149. Peters & De Vries (1976), Apostasy in Islam, Die Welt des Islams, Vol. 17, Issue 1/4, p. 3, quote - "By the murtadd or apostate is understood as the Moslem by birth or by conversion, who renounces his religion, irrespective of whether or not he subsequently embraces another faith".
  150. Peters & De Vries (1976), Apostasy in Islam, Die Welt des Islams, Vol. 17, Issue 1/4, pp. 3-4
  151. Nuh Ha Mim Keller (1997), Umdat as-Salik by Ahmad ibn Naqib al-Misri, Reliance of the Traveller: A Classic Manual of Islamic Sacred Law, ISBN 978-0915957729, pp. 596-598, Section O-8.7
  152. R. Ibrahim (2009, editors: J. Gallagher and E. Patterson), Debating the War of Ideas, Palgrave Macmillan, ISBN 978-0-23061-9364, p. 68-72, quote - "Muslims who were forced to choose between recanting Islam or suffering persecution were, and still are, permitted to lie by feigning apostasy" (p. 68).
  153. J.T. Munroe (2004), Hispano-Arabic Poetry, Gorgias Press, ISBN 978-1-59333-1153, p. 69
  154. 1 2 Heffening, W. (1993). "Murtadd". In C.E. Bosworth; E. van Donzel; W.P. Heinrichs; et al. Encyclopaedia of Islam. 7. Brill Academic Publishers. pp. 635–6. ISBN 978-90-04-09419-2.
  155. Mansour, A. A. (1982). Hudud Crimes (From Islamic Criminal Justice System, P 195–201, 1982, M Cherif Bassiouni, ed.-See NCJ-87479).
  156. Lippman, M. (1989). Islamic Criminal Law and Procedure: Religious Fundamentalism v. Modern Law. BC Int'l & Comp. L. Rev., 12, pages 29, 263-269
  157. Rudolph Peters & Gert De Vries (1976), Apostasy in Islam, Die Welt des Islams, Vol. 17, Issue 1/4, pp 1-3, 5-7, 1-25
  158. Ibn Warraq (2003), Leaving Islam: Apostates Speak Out, ISBN 978-1591020684, pp 1-27
  159. Saeed, A., & Saeed, H. (Eds.). (2004). Freedom of religion, apostasy and Islam. Ashgate Publishing; ISBN 0-7546-3083-8
  160. Forte, D. F. (1994). Apostasy and Blasphemy in Pakistan. Conn. J. Int'l L., 10, 27.
  161. Mohammed Abu-Nimer; David Augsburger (16 February 2009). Peace-Building by, between, and beyond Muslims and Evangelical Christians. Lexington Books. pp. 179–194. ISBN 978-0-7391-3523-5.
  162. Kecia Ali and Oliver Leaman (2008). Islam: the key concepts. Routledge. p. 10. Retrieved 2013-11-29.
  163. John L. Esposito (2004). The Oxford dictionary of Islam. Oxford University Press. p. 22. Retrieved 2013-11-28.
  164. Miller, Duane Alexander (April 2011). "'Your Swords do not Concern me at all': The Liberation Theology of Islamic Christianity" (PDF). St Francis Magazine. 7 (2): 244, 228–260. Retrieved 16 November 2012.
  165. Asma Afsaruddin (2013), Striving in the Path of God: Jihad and Martyrdom in Islamic Thought, p.242. Oxford University Press. ISBN 0199730938.
  166. Saeed, Abdullah (2005). "Ridda and the case for decriminalization of apostasy". The Qur'an: An Encyclopedia. Oliver Leaman et al. (eds.) (1st ed.). Routledge. p. 551. ISBN 978-0-415-77529-8.
  167. Hassan Ibrahim in Editor: Ibrahim M. Abu-Rabi (2006), The Blackwell Companion to Contemporary Islamic Thought, Blackwell Publishing, ISBN 978-1-4051-2174-3, pages 167-169
  168. Forte, D. F. (1994), Apostasy and Blasphemy in Pakistan, Conn. Journal of Int'l Law, Vol. 10, pages 27-41
  169. Kazemi F. (2000), Gender, Islam, and politics, Social Research, Vol. 67, No. 2, pages 453-474
  170. 1 2 Khaled M. Abou El Fadl (2007). The Great Theft: Wrestling Islam from the Extremists. HarperCollins. p. 158. ISBN 978-0-06-118903-6.
  171. ELLIOTT, ANDREA (March 26, 2006). "In Kabul, a Test for Shariah". New York Times. Retrieved 28 November 2015.
  172. John Esposito (2011), What Everyone Needs to Know About Islam, p.74. ISBN 978-0-19-979413-3.
  173. Ahmet Albayrak writes in The Qur'an: An Encyclopedia that regarding apostasy as a wrongdoing is not a sign of intolerance of other religions, and is not aimed at one’s freedom to choose a religion or to leave Islam and embrace another faith, but that on the contrary, it is more correct to say that the punishment is enforced as a safety precaution when warranted if apostasy becomes a mechanism of public disobedience and disorder (fitna). Oliver Leaman, The Qur'an: An Encyclopedia, pp. 526-527.
  174. 1 2 3 Hadrat Mirza Tahir Ahmad (2005). The Truth about the Alleged Punishment for Apostasy in Islam (PDF). Islam International Publications. ISBN 1-85372-850-0. Archived from the original (PDF) on 16 April 2014. Retrieved 31 March 2014.
  175. Khan, A. M. (2003), Persecution of the Ahmadiyya Community in Pakistan: An Analysis Under International Law and International Relations, Harvard Human Rights Journal, 16, 217
  176. Andrew March (2011), Apostasy: Oxford Bibliographies Online Research Guide, Oxford University Press, ISBN 978-0199805969
  177. 1 2 Laws Criminalizing Apostasy Library of Congress (2014)
  178. Apostasy Oxford Islamic Studies Online, Oxford University Press (2012)
  179. Zwemer, Samuel M. "THE LAW OF APOSTASY". The Muslim World. 14 (4): 41–43, Chapter 2. ISSN 0027-4909.
  180. Laws Criminalizing Apostasy Library of Congress (2014)
  181. 1 2 "Muslim-Majority Countries". Pew Research Center's Religion & Public Life Project. 27 January 2011. Retrieved 2015-03-17.
  182. Zaki Badawi, M.A. (2003). "Islam". In Cookson, Catharine. Encyclopedia of religious freedom. New York: Routledge. pp. 204–8. ISBN 0-415-94181-4.
  183. "The Fate of Infidels and Apostates under Islam". International Ethics and Humanist Union. 21 June 2005. Archived from the original on 20 June 2013.
  184. Freedom of Religion, Apostasy and Islam by Abdullah Saeed and Hassan Saeed (Mar 30, 2004), ISBN 978-0-7546-3083-8
  185. "Majorities of Muslims in Egypt and Pakistan support the death penalty for leaving Islam". Washington Post. Retrieved 2015-03-17.
  186. "The World's Muslims: Religion, Politics and Society" (PDF). 30 April 2013. Retrieved 25 February 2016.
  187. Stephen Bates. "More young Muslims back sharia, says poll". the Guardian. Retrieved 2015-03-17.
  188. Ziba Mir-Hosseini (2011), Criminalizing sexuality: zina laws as violence against women in Muslim contexts, SUR - Int'l Journal on Human Rights, 15, pp. 7-31
  189. Haideh Moghissi (2005), Women and Islam: Part 4 Women, sexuality and sexual politics in Islamic cultures, Taylor & Francis, ISBN 0-415-32420-3
  190. Emma Batha, Stoning - where does it happen? Thomson Reuters Foundation, September 29, 2013
  191. Julie Chadbourne (1999), Never wear your shoes after midnight: Legal trends under the Pakistan Zina Ordinance, Wisconsin International Law Journal, Vol. 17, pp. 179-234
  192. Quraishi, A. (1997). Her Honor: An Islamic Critique of the Rape Laws of Pakistan from a Woman-Sensitive Perspective, Michigan Journal of International Law, vol. 18, #287 (1997).
  193. Sidahmed, A. S. (2001). "Problems in contemporary applications of Islamic criminal sanctions: The penalty for adultery in relation to women", British Journal of Middle Eastern Studies, 28(2), pp. 187204.
  194. R. Peters, Encyclopaedia of Islam, 2nd Edition, Edited by: P. Bearman et al., Brill, ISBN 978-9004161214, see article on Zinā
  195. 1 2 Muḥammad Salīm ʻAwwā (1982), Punishment in Islamic Law: A Comparative Study, American Trust Publications, ISBN 978-0892590155
  196. Sakah Saidu Mahmud (2013), Sharia or Shura: Contending Approaches to Muslim Politics in Nigeria and Senegal, Lexington, ISBN 978-0739175644, Chapter 3
  197. Ursula Smartt, Honour Killings Justice of the Peace, Vol. 170, January 2006, pp. 4-6
  198. Z. Mir-Hosseini (2011), Criminalizing sexuality: zina laws as violence against women in Muslim contexts, Int'l Journal on Human Rights, 15, 7-16
  199. Sunan Abu Dawood, 38:4448
  200. Camilla Adang (2003), Ibn Hazam on Homosexuality, Al Qantara, Vol. 25, No. 1, pp. 5-31
  201. 1 2 Z. Mir-Hosseini (2011), Criminalizing sexuality: zina laws as violence against women in Muslim contexts, SUR-Int'l Journal on Human Rights, 8(15), pp 7-33
  202. M. S. Sujimon (2003), Istilḥāq and Its Role in Islamic Law, Arab Law Quarterly, Vol. 18, No. 2, pp 117-143
    • Ali, Kecia (2010). Marriage and slavery in early Islam. USA: Harvard University Press. pp. 161–172.;
    • Haeri, Shahla (1989). Law of Desire: Temporary Marriage in Shi'i Iran. Syracuse University Press. pp. 24–32. ISBN 978-0815624837. Quote: Sexual intercourse with one's own slave girl continued to be legitimate until recently in most Islamic societies. Slave ownership should not be confused with slave marriage. Slave marriage involves marriage of a slave with another person, with the permission of the slave master. Marriage is not necessary between a male slave owner and his female slaves. His ownership entitles him to a right of intercourse.
  203. "Translations of the Qur'an, Surah 24: Al-noor (the light) - 24:2". Center for Muslim-Jewish Engagement. Retrieved 25 February 2016.
  204. 1 2 3 Leaman, Oliver (2013). Controversies in Contemporary Islam. Routledge. p. 78. ISBN 978-0-415-67613-7.
  205. Leaman, Oliver (2013). Controversies in Contemporary Islam. Routledge. ISBN 978-0-415-67613-7.
  206. Leaman, Oliver (2013). Controversies in Contemporary Islam. New York: Routledge. p. 78. ISBN 978-0-415-67613-7.
  207. [Quran 24:4]
  208. 1 2 A. Engineer (2004), The Rights of Women in Islam, 3rd Edition, ISBN 978-8120739338, pp. 80-86
  209. KB Khan (2014), Versions and Subversions of Islamic Cultures in the Film The Stoning of Soraya, Journal of Literary Studies, 30(3), pp. 149-167
  210. Sahih Muslim, 8:3435
  211. Sunan Abu Dawood, 38:4421, 38:4429
  212. Z Maghen (2005), Virtues Of The Flesh: Passion and Purity In Early Islamic Jurisprudence, Studies in Islamic Law and Society, Brill Academic, ISBN 978-9004140707, pp 155
  213. "Center for Muslim-Jewish Engagement".
  214. Hallaq, W. B. (1999). A History of Islamic Legal Theories: An Introduction to Sunni Usul al-Fiqh. Cambridge University Press, ISBN 978-0-521-59986-3, pp. 7071.
  215. Muhammad Qasim Zaman (2012), Modern Islamic Thought in a Radical Age, Cambridge University Press, ISBN 978-1107096455, pp. 30-31
  216. Neal Robinson (2013), Islam: A Concise Introduction, Routledge, ISBN 978-0878402243, Chapter 7, pp. 85-89
  217. Kamali, M. H. (2003), Principles of Islamic jurisprudence, Cambridge, UK (Islamic Texts Society).
  218. Guy Bechor (2012), Between Vision and Reality: Law in the Arab World, ISBN [?], pp. 105110.
  219. Failinger, Marie A.; et al. (2013). Feminism, Law, and Religion. Farnham, England: Ashgate. pp. 328–329. ISBN 978-1409444213.
  220. A. Quraishi (1999), Her honour: an Islamic critique of the rape provisions in Pakistan's ordinance on zina, Islamic studies, Vol. 38, No. 3, pp. 403-431
  221. 1 2 Joseph Schacht, An Introduction to Islamic Law (Oxford: Clarendon Press, 1973), pp. 176-183
  222. A.S. Sidahmed (2001), Problems in contemporary applications of Islamic criminal sanctions: The penalty for adultery in relation to women, British journal of middle eastern studies, 28(2): 187-204
  223. M. Tamadonfar (2001), Islam, law, and political control in contemporary Iran, Journal for the Scientific Study of Religion, 40(2): 205-220
  224. 1 2 Kecia Ali (2006), Sexual Ethics and Islam, ISBN 978-1851684564, Chapter 4
  225. Juan Eduardo Campo (2009). Encyclopedia of Islam. Infobase Publishing. pp. 13–14. ISBN 978-1-4381-2696-8. Retrieved 28 February 2016.
  226. LAU, M. (2007), Twenty-Five Years of Hudood Ordinances: A Review, Washington and Lee Law Review, n. 64, pp. 1291-1314
  227. Rehman J. (2007), The sharia, Islamic family laws and international human rights law: Examining the theory and practice of polygamy and talaq, International Journal of Law, Policy and the Family, 21(1), pp. 108-127
  228. KAMALI (1998), Punishment in Islamic Law: A Critique of the Hudud Bill of Kelantan Malaysia, Arab Law Quarterly, vol. 13, no. 3, pp. 203-234
  229. QURAISHI, A (1996), Her Honor: An Islamic Critique of the Rape Laws of Pakistan from a Woman-Sensitive Perspective, Michigan Journal of International Law, vol. 18, pp. 287-320
  230. A. SAJOO (1999), Islam and Human Rights: Congruence or Dichotomy, Temple International and Comparative Law Journal, vol. 4, pp. 23-34
  231. K. ALI (2003), Progressive Muslims and Islamic Jurisprudence: The Necessity for Critical Engagement with Marriage and Divorce Law, In: SAFI, O. (Ed.). Progressive Muslims: On Justice, Gender, and Pluralism, Oxford: Oneworld, pp. 163-189
  232. Duran (1993) p. 179
  233. Kligerman (2007) pp. 53–54
  234. Wafer, Jim (1997). "Muhammad and Male Homosexuality". In Stephen O. Murray and Will Roscoe. Islamic Homosexualities: Culture, History and Literature. New York University Press. p. 88. Retrieved 2010-07-24.
  235. 1 2 Ed. C. Bosworth, E. van Donzel, The Encyclopaedia of Islam, Leiden, 1983
  236. Wafer, Jim (1997). "Muhammad and Male Homosexuality". In Stephen O. Murray and Will Roscoe. Islamic Homosexualities: Culture, History and Literature. New York University Press. pp. 89–90. Retrieved 2010-07-24.
  237. Duran, K. (1993). Homosexuality in Islam, p. 184. Cited in: Kligerman (2007) p. 54.
  238. Jim Wafer (1997). "Muhammad and Male Homosexuality". In Stephen O. Murray; Will Roscoe. Islamic Homosexualities: Culture, History, and Literature. NYU Press. p. 89. ISBN 978-0-8147-7468-7. Retrieved 26 February 2016.
  239. The Hudud: The Hudud are the Seven Specific Crimes in Islamic Criminal Law and Their Mandatory Punishments, 1995 Muhammad Sidahmad
  240. Stonebanks, Christopher Darius (2010). Teaching Against Islamophobia. p. 190.
  241. Tax, Meredith (2010). Double Bind. p. 46.
  242. "Lesbian and Gay Rights in the World" (PDF). ILGA. May 2009. Archived from the original (PDF) on 11 August 2011.
  243. Abu Dawud 32:4087
  244. Sahih Bukhari 7:72:774
  245. Anderson, Ben (2007). "The Politics of Homosexuality in Africa" (PDF). Africana. 1 (1). Archived from the original (PDF) on 24 July 2011.
  246. Ottosson, Daniel (2013). "State-sponsored Homophobia: A world survey of laws prohibiting same sex activity between consenting adults" (PDF). International Lesbian and Gay Association (ILGA). p. Page 7. Retrieved 26 February 2016.
  247. "Syria: Treatment and human rights situation of homosexuals" (PDF). Retrieved 20 January 2011.
  248. Lowen, Mark (2009-07-30). "Albania 'to approve gay marriage'". BBC News. Retrieved 2013-04-22.
  249. 1 2 Rough Guide to South East Asia: Third Edition. Rough Guides Ltd. August 2005. p. 74. ISBN 1-84353-437-1.
  250. "In response to anti-LGBT fatwa, Jokowi urged to abolish laws targeting minorities". The Jakarta Post. 18 March 2015. Retrieved 7 April 2015.
  251. Lucas Paoli Itaborahy; Jingshu Zhu (May 2014). "State-sponsored Homophobia - A world survey of laws: Criminalisation, protection and recognition of same-sex love" (PDF). International Lesbian, Gay, Bisexual, Trans and Intersex Association. Retrieved 25 February 2016.
  252. "Kuwait Law". ILGA Asia. 2009. Archived from the original on 19 July 2013.
  253. "Law of the Republic of Uzbekistan On Enactment of the Criminal Code of the Republic of Uzbekistan". Retrieved 2016-03-22.
  254. Evans, Robert (8 March 2012). "Islamic states, Africans walk out on UN gay panel". Reuters. Retrieved 18 July 2012.
  255. Solash, Richard (7 March 2012). "Historic UN Session On Gay Rights Marked By Arab Walkout". Radio Free Europe/Radio Liberty. Agence France-Presse. Retrieved 18 July 2012.
  256. South Africa leads United Nations on gay rights | News | National | Mail & Guardian. (2012-03-09). Retrieved on 2013-09-27.
  257. "UN: General Assembly statement affirms rights for all" (PDF). Amnesty International (Public Statement). 18 December 2008. Archived from the original (PDF) on 23 November 2009.
  258. "Over 80 Nations Support Statement at Human Rights Council on LGBT Rights » US Mission Geneva". Retrieved 2013-04-22.
  259. Ingraham, Christopher (June 12, 2016). "In the modern history of mass shootings in America, Orlando is the deadliest". Washington Post.
  260. Peralta, Eyder (June 13, 2016). "Putting 'Deadliest Mass Shooting In U.S. History' Into Some Historical Context". NPR.
  261. McBride, Brian; Edison Hayden, Michael (June 15, 2016). "Orlando Gay Nightclub Massacre a Hate Crime and Act of Terror, FBI Says". ABC News. Retrieved June 17, 2016.
  262. "Investigators Say Orlando Shooter Showed Few Warning Signs Of Radicalization". Retrieved 2016-06-20.
  263. 1 2 "This Is How World Leaders Are Reacting To The Orlando Gay Nightclub Shooting". BuzzFeed. Retrieved June 12, 2016.
  264. "Algeria: Orlando Mass Shooting, a 'Barbaric Crime,' Says President Bouteflika". All Africa. All Africa. June 13, 2016. Retrieved June 13, 2016.
  265.  . "Баку осудил теракт в США — Haqqin". Retrieved June 23, 2016.
  266. "Foreign Ministry of Bahrain gives condolences on Orlando shooting". Ministry of Foreign Affairs. Bahrain MoFA. June 13, 2016. Retrieved June 13, 2016.
  267. "Présidence de la République de Djibouti". Retrieved June 13, 2016.
  268. "State Information Services Egypt strongly condemns Orlando shooting". Retrieved June 22, 2016.
  269. "Iraqi PMU English on Twitter: "Today we stand with the victims of the #Orlando attack on civilians by #ISIS. From #Iraq we #PrayForOrlando."". Twitter. Retrieved June 23, 2016.
  270. "Statement by Iranian Foreign Ministry". Retrieved June 13, 2016.
  271. "Saudi Arabia condemns Orlando shooting". June 13, 2016. Retrieved June 13, 2016.
  272. "No: 134, 12 June 2016, Press Release Regarding the Terrorist Attack in Orlando City of the US". Retrieved June 14, 2016.
  273. "Туркменистан: золотой век". Retrieved June 13, 2016.
  274. "Foreign Ministry of UAE gives condemns Orlando shooting". Ministry of Foreign Affairs. UAE MoFA. June 13, 2016. Retrieved June 13, 2016.
  275. 1 2 Gunaratna, Shanika (June 13, 2016). "Muslim Americans rush to condemn Orlando massacre". CBS News. Retrieved June 13, 2016.
  276. Cooke, Kristina; Ali, Idrees (June 13, 2016). "Muslim leaders condemn Florida massacre, brace for backlash". Reuters. Retrieved June 13, 2016.
  277. Blinder, Alan (June 12, 2016). "Fort Pierce Mosque in Florida Condemns Attack". The New York Times. Retrieved June 14, 2016.
  278. Afshar, Paradise; Seiden, Michael (June 13, 2016). "Muslim community condemns Orlando attack, calls for blood donations". WPLG. Retrieved June 13, 2016.
  279. 1 2 Ahmed, Ali S. V.; Jibouri, Yasin T. (2004). The Koran: Translation. Elmhurst, NY: Tahrike Tarsile Qur'ān. Print.
  280. Phyllis Chesler. "Are Honor Killings Simply Domestic Violence?". Middle East Forum. Retrieved 22 August 2015.
  281. Mayell, Hillary (12 February 2002). "Thousands of Women Killed for Family "Honor"" (PDF). Lincoln, Nebraska: University of Nebraska–Lincoln. Retrieved 28 November 2015.
  282. "Sanctuary for Families". Sanctuary for Families. Archived from the original on 2012-11-15. Retrieved 22 August 2015.
  283. UNRISD. "Religion, Culture and the Politicization of Honour-Related Violence: A Critical Analysis of Media and Policy Debates in Western Europe and North America". Retrieved 22 August 2015.
  284. Treacher, Amal. "Reading the Other Women, Feminism, and Islam." Studies in Gender and Sexuality 4.1 (2003); pages 59-71
  285. John C. Raines & Daniel C. Maguire (Ed), Farid Esack, What Men Owe to Women: Men's Voices from World Religions, State University of New York (2001), see pages 201-203
  286. Jackson, Nicky Ali, ed. Encyclopedia of domestic violence. CRC Press, 2007. (see chapter on Qur'anic perspectives on wife abuse)
  287. 1 2 Grand Ayatullah Nasir Makarem Shirazi: Fatwas and viewpoints. Al-Ijtihaad Foundation. Retrieved 14 Nov. 2011.
  288. Roald, Anne S. (2001). Women in Islam: The Western Experience. Routledge. p. 166. ISBN 0415248965.
  289. Ali, Abdullah Yusuf, (1989) The Holy Qur'an: Text, Translation and Commentary. Brentwood, MD: Amana Corporation. ISBN 0-915957-03-5.
  290. Muslim Clerics on the Religious Rulings Regarding Wife-Beating. Jihad Watch. 15 Nov. 2011.
  291. Ibn Kathir, "Tafsir of Ibn Kathir", Al-Firdous Ltd., London, 2000, 50-53
  292. Roald (2001) p. 169.
  293. Classic Manual of Islamic Sacred Law, Al-Nawawi, section m10.12, "Dealing with a Rebellious Wife", page 540; may hit her as long as it doesn't draw blood, leave a bruise, or break bones.
  294. Shafaat, Ahmad, Tafseer of Surah an-Nisa, Ayah 34, Islamic Perspectives. 10 Aug. 2005.
  295. Hajjar, Lisa. (2004) Religion, State Power, and Domestic Violence in Muslim Societies: A Framework for Comparative Analysis. Law and Social Inquiry. 29(1):1-38.
  296. Coomaraswamy, Radhika. Further Promotion and Encouragement of Human Rights and Fundamental Freedoms. United Nations. Economic and Social Council. 5 Feb. 1996. Retrieved 19 Oct. 2011.
  297. Jones, Gavin. "Marriage and Divorce in Islamic South East Asia."
  298. Muḥammad, Farida Khanam; Ḫān, Wahīd-ad-Dīn. (2009). The Quran. New Delhi: Goodword. Print.
  299. Maghraoui, Abdeslam. "Political authority in crisis: Mohammed VI's Morocco."Middle East Report 218 (2001): 12-17.
  300. Critelli, Filomena M. "Women's rights= Human rights: Pakistani women against gender violence." J. Soc. & Soc. Welfare 37 (2010), pages 135-142
  301. Oweis, Arwa, et al. "Violence Against Women Unveiling the Suffering of Women with a Low Income in Jordan." Journal of Transcultural Nursing 20.1 (2009): 69-76.
  302. Greg Botelho, CNN (12 December 2014). "ISIS: Enslaving, having sex with 'unbelieving' women, girls is OK -". CNN. Retrieved 7 January 2015.
  303. Mona Siddiqui. "Isis: a contrived ideology justifying barbarism and sexual control". the Guardian. Retrieved 7 January 2015.
  304. Constanze Letsch. "Kurdish peshmerga forces arrive in Kobani to bolster fight against Isis". the Guardian. Retrieved 7 January 2015.
  305. Christine Sisto. "Moderate Muslims Stand against ISIS - National Review Online". National Review Online. Retrieved 7 January 2015.
  306. Emily Lynn Osborn (10 October 2011). Our New Husbands Are Here: Households, Gender, and Politics in a West African State from the Slave Trade to Colonial Rule. Ohio University Press. pp. 18–. ISBN 978-0-8214-4397-2.
  307. Louise Müller (2013). Religion and Chieftaincy in Ghana: An Explanation of the Persistence of a Traditional Political Institution in West Africa. LIT Verlag Münster. pp. 207–. ISBN 978-3-643-90360-0.
  308. An American Witness to India's Partition by Phillips Talbot Year (2007) Sage Publications ISBN 978-0-7619-3618-3
  309. Raza, Moonis; Ahmad, Aijazuddin (1990). An Atlas of Tribal India: With Computed Tables of District-level Data and Its Geographical Interpretation. Concept Publishing Company. p. 1. ISBN 9788170222866.
  310. Sutton, Philip W.; Vertigans, Stephen (2005). Resurgent Islam: a sociological approach. Polity. p. 7. Stereotypical views which portray Islam as an inherently violent religion, a 'religion of the sword' and an increasing global threat have thus been reinforced and even extended over recent years.
  311. Campo, Juan Eduardo (2009). Encyclopedia of Islam. Infobase Publishing. p. 374.
  312. John Hinnells; Richard King (2007). Religion and Violence in South Asia. Taylor & Francis. p. 79. ISBN 978-0-203-08869-2. Retrieved 26 February 2016.
  313. Puniyani, Ram (2005). Religion, power & violence: expression of politics in contemporary times. SAGE. pp. 97–98.
  314. Corrigan, John; Hudson, Winthrop Still (2004). Religion in America: an historical account of the development of American religious life. Pearson/Prentice Hall. p. 444.
  315. "A Nation Challenged: The Religious Right; Islam Is Violent in Nature, Pat Robertson Says". New York Times. 23 February 2002. The religious broadcaster Pat Robertson has described Islam as a"violent religion that wants to 'dominate and then, if need be, destroy'."
  316. Banks, Adelle M. (21 December 2009). "Survey: Two-thirds of Protestant pastors consider Islam 'dangerous'". USA Today. Retrieved 12 December 2010.
  317. "Islamofobi – definitioner och uttryck". Forum för levande historia. Retrieved 18 March 2015.
  318. Runnymede 1997, p. 5, cited in Quraishi 2005, p. 60.
  319. Aldridge, Alan (February 1, 2000). Religion in the Contemporary World: A Sociological Introduction. Polity Press. p. 138. ISBN 978-0-7456-2083-1.
  320. Bleich, Erik (2011). "What Is Islamophobia and How Much Is There? Theorizing and Measuring an Emerging Comparative Concept". American Behavioral Scientist. 55 (12): 1581–1600. doi:10.1177/0002764211409387.
  321. Imhoff, Roland & Recker, Julia "Differentiating Islamophobia: Introducing a new scale to measure Islamoprejudice and Secular Islam Critique" Journal of Political Psychology
  322. Salaita, Steven (Fall 2006). "Beyond Orientalism and Islamophobia: 9/11, Anti-Arab Racism, and the Mythos of National Pride". CR: The New Centennial Review. 6 (2).
  323. Puniyani, Ram (2005). Religion, power & violence: expression of politics in contemporary times. SAGE. p. 98.
  324. Juergensmeyer, Mark (2003). Terror in the mind of God: the global rise of religious violence. University of California Press. p. 80.
  325. Hood, Ralph W.; Hill, Peter C.; Spilka, Bernard (2009). The Psychology of Religion: An Empirical Approach. Guilford Press. p. 257.
  326. Muzaffar, Chandra (2002). Rights, religion and reform: enhancing human dignity through spiritual and moral transformation. Taylor & Francis. p. 345.
  327. 1 2 "Muslim Publics Divided on Hamas and Hezbollah". Pew Research Center's Global Attitudes Project. 2 December 2010.
  328. Rozen, Laura (2010-10-11). "Researcher: Suicide terrorism linked to military occupation - Laura Rozen". Politico.Com. Retrieved 2014-08-18.
  329. [Continue calling ‘honour killings’ by its rightful name, Barbara Kay, September 21, 2011, Full comment, National Post.]
  330. "Muslim Americans - Middle class and mostly mainstream" (PDF). Pew Research Center. 22 May 2007. p. 60. Retrieved 3 January 2015.
  331. "Muslim Americans: No Signs of Growth in Alienation or Support for Extremism". Pew Research Center for the People and the Press. 30 August 2011.
  332. Nicole Naurath (2 August 2011). "Most Muslim Americans See No Justification for Violence". Retrieved 3 January 2015.
  333. "Concerns about Islamic Extremism on the Rise in Middle East". Pew Research Center's Global Attitudes Project. 1 July 2014. Retrieved 4 February 2015.
  334. 1 2 3 "FAQs: Who Speaks for Islam?". Archived from the original on 2009-03-07.
  335. 1 2 Gallup Inc. "What Makes a Radical?".

Further reading

  • Ferguson, John. "War and Peace in the World's Religion", 1978
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