Are US judgments enforced in other countries?
Generally, U.S. judgments cannot be enforced in a foreign country without first being recognized by a court in that foreign country. The recognition and enforcement of U.S. judgments depend not only on the domestic law of the foreign country, but also on the principles of comity, reciprocity, and res judicata.
Can a US Judgement be enforced in Canada?
American courts (both Federal and State Courts) have no jurisdiction over Canadian residents or companies in Canada. In order for a US judgment or letter rogatory to have effect over a Canadian resident or company, an application must be made to the relevant Canadian court to approve the order.
How do I enforce a Quebec judgment in Ontario?
The first step in enforcing a Quebec or foreign judgment in Ontario is to commence an action to enforce the judgment. Depending on the amount due, the action should be brought in either the Small Claims Court (amounts under $25,000), or the Superior Court of Justice.
How do you serve a Canadian corporation?
The normal procedure for service in Canada is personal service made by a process server in Alberta, a huissier in Québec, an enforcement officer of the Ministry of the Attorney General in Ontario or a sheriff or deputy sheriff elsewhere in Canada, on an individual or on a corporation by handing a copy of the document …
Is Canada part of the Hague Convention?
Canada and the United States have been treaty partners under the 1980 Hague Convention on the Civil Aspects of International Child Abduction (Hague Abduction Convention) since J.