Lawyer in Pilsen — Recognising a Czech Judgment Abroad

A civil judgment issued by a Czech court is, thanks to EU rules, in principle recognised automatically in other member states and can be enforced there directly, and the same applies to a judgment coming the other way.

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Legal Context

The Brussels I bis Regulation ensures that a judgment in civil and commercial matters from one EU member state is recognised in another without a separate procedure and is directly enforceable there, once the creditor produces the relevant certificate issued by the court of origin. Refusal of recognition or enforcement is only possible on narrowly defined grounds, such as a manifest breach of public policy or defective service.

When to Contact a Lawyer

A lawyer can help obtain the necessary certificate and take the further steps to enforce a judgment connected to Pilsen abroad, or defend against enforcement where a legal ground exists.

Documents to Prepare

  • Final and enforceable court judgment
  • Certificate under the Brussels I bis Regulation issued by the court of origin
  • Proof of service of the judgment on the debtor

Frequently Asked Questions

Do I need a separate procedure to enforce a judgment connected to Pilsen abroad?

Generally not — recognition between EU member states is automatic, and enforcement requires producing the relevant certificate from the court of origin.

On what grounds can recognition or enforcement be refused?

Only on narrowly defined grounds under the Regulation, such as manifest breach of public policy or a defect in service on the debtor.

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LawBridge reviews your request and helps connect you with a suitable lawyer or law firm.

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