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Business and human rights around the world
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Enforcing English judgments in the EU following Brexit
IBOR transition: Impact on security and guarantees
Joint Ventures
Patentability of computer-implemented inventions (CIIs)
Restructuring
Knowledge hubs
Financial services regulation
FinTech
IFR/IFD transition
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Enforcing English judgments in the EU following Brexit
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Questions
Q1 Will courts in your jurisdiction recognise and enforce a judgment obtained from the English courts pursuant to an exclusive jurisdiction agreement signed after the end of the Implementation Period in accordance with the Hague Convention?
(a) If so, what is the procedure for doing so?
(b) Are there any particularly onerous requirements or potential sources of delay?
Q2 Will courts in your jurisdiction treat an exclusive English jurisdiction agreement signed between 1 October 2015 (the date of the UK’s accession to the Hague Convention as an EU Member State) and the end of the Implementation Period as falling within the Hague Convention?
Q3 Would the courts in your jurisdiction treat asymmetric jurisdiction clauses as falling within the Hague Convention?
Q4 If, for any reason, the Hague Convention does not apply to a specific judgment obtained from an English court, under what conditions would that judgment be recognised and enforced in your jurisdiction?
(a) What is the procedure for doing so?
(b) Are there any particularly onerous requirements or potential sources of delay?
Q5 If the parties to a contract have agreed a non-exclusive jurisdiction clause (that is, a clause submitting to the English courts and to any other courts with jurisdiction), under what conditions would the courts accept jurisdiction to resolve a dispute in relation to that contract?
Contacts
Select one or more jurisdiction below:
Europe
Austria
Belgium
Bulgaria
Croatia
Cyprus
Czech Republic
Denmark
Estonia
Finland
France
Germany
Greece
Hungary
Ireland
Italy
Latvia
Lithuania, Republic of
Luxembourg
Malta
Netherlands
Poland
Portugal
Romania
Slovakia
Slovenia
Spain
Sweden
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