Enforcement of EU judgments post Brexit: an exclusivity conundrum

 Enforcement of EU judgments post Brexit: an exclusivity conundrum

Find out more about the enforceability in England of non-UK judgments and the issues in relation to jurisdiction and the mechanics of judicial co-operation that will arise post 1 January 2021.

It is a striking feature of the UK's and EU's Trade and Cooperation Agreement of 30 December 2020, which governs their future relationship from 1 January 2021, that there is no mention of future arrangements in relation to judicial cooperation in civil and commercial matters. This may be contrasted with the detailed arrangements in relation to criminal matters.

To find out more about the enforceability in England of non-UK judgments and the issues in relation to jurisdiction and the mechanics of judicial co-operation that will arise post 1 January 2021, please click here.