The internationalization of business transactions means that the question of whether and how a judgment issued in the creditor’s home country can be enforced in the debtor’s home country is of great practical importance. The author of this article has also experienced that many debtors are not prepared to pay voluntarily.
The following article provides an overview of how a judgment issued in the EU in civil and/or commercial matters can be enforced in other EU Member States – here using Germany as an example.