Recognition of Foreign Insolvency Proceedings
In two decisions this year, the Irish High Court confirmed it has an inherent jurisdiction to recognise orders of foreign courts (i.e. non-EU courts) for the winding-up of companies and the appointment of liquidators.
In two decisions this year, the Irish High Court confirmed it has an inherent jurisdiction to recognise orders of foreign courts (i.e. non-EU courts) for the winding-up of companies and the appointment of liquidators.