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Is Foreign Judgment Enforceable in China?

Sophie Mao LegalTips 2021-05-29

 

In our previous article Five tips on preparing OEM contract with China factory,  we mentioned that China court hardly enforce a foreign judgment.  Some readers asked us to share a link of such regulations, obviously, they want to check the authenticity of such saying.

 

Unfortunately, there is no law says so.

 

Let’s see what the law says.  According to the Civil Procedure Law of PRC, a foreign judgement could be recognized and enforced by China court if it:

 

1) meets the provisions of aninternational treaty concluded between or acceded to by the foreign state and China, or

2) accords with the principle of reciprocity.

 

Then the party concerned could directly apply for or the foreign court may request the competent court for recognition and enforcement.

 

Upon reviewing such application or requirement, if the court considers that such judgment neither contradicts the basic principles of the law of PRC nor violates State sovereignty, security and the public interest, it shall rule to recognize its effectiveness and enforce it.

 

Actually, based on the above mentioned #1 provision, there are totally 34 countries which recognize and enforce each other’s judgement with China. Which are:

 

1. 12 Asian countries: Mongolia, Turkey, Kazakhstan, Cyprus, Kyrgyzstan, Uzbekistan, Tajikistan, VietNam, Laos, Korea, United Arab Emirates, Kuwait

2. 13 European countries: France, Russia, Italy, Spain, Poland, Romania, Belarus, Ukraine, Bulgaria, Greece, Hungary, Lithuania, Bosnia and Herzegovina:

3. 4 American countries: Brazil, Argentina, Cuba, Peru

4. 5 African countries: Egypt, Morocco, Tunisia, Algeria, Ethiopia

 

It’s not hard to see, few developed countries or few main trading partners of China are included in the list, such as the US, British, Germany etc. Recognition and enforcement of a judgment made in these countries may only be conditioned upon the existence ofa reciprocal relationship between these foreign countries and China. However, PRC law fails to clearly specify the criteria fordetermining whether a reciprocal relationship exists...

 

  Click below for more info



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