Civil Procedure Laws and actual Litigation Practice in German Court Rooms is very different from English or US Civil Trials Under the English Civil Procedure Rules, it is common practice that a Claimant provides a witness statement to the court. To the eyes of German lawyers and Judges, this is a strange concept, because German law does not allow parties to provide witness statements as evidence before the Court. Under section 447 German Civil Procedure…
Bernhard SchmeilzlMay 31, 2016