The Court made several important obiter observations: (1) While pre-sentencing reports (probation officer and victim impact reports) are desirable before imposing life imprisonment, there is no hard and fast rule requiring them in all cases; the peculiar facts of each case determine if they are essential. (2) The sentencing stage differs from the trial stage, and a sentencing court must be proactive to ensure full information about the accused's family history, upbringing, career, psycho-emotional wellbeing, moral and ethical standards, and the impact on the victim and her family. (3) Courts must not permit "flimsy reasons, undue or maudlin sympathy with an accused, personal doubt regarding the effectiveness of the sentence" to deflect them from imposing appropriate sentences under minimum sentencing legislation. (4) The Court expressed concern about the continued prevalence of rape and abuse of women and children 21 years into democracy, despite the Bill of Rights' emphasis on equality and human dignity, and despite the introduction of minimum sentencing legislation in 1997. (5) The Court emphasized that courts have a duty to send a clear message: "We are determined to protect the equality, dignity and freedom of all women, and we shall show no mercy to those who seek to invade these rights." (6) The Court sympathized with the complainant's confusion in testimony, attributing it to the trauma of being accosted, assaulted and gang-raped, noting "She is only human."