The Westminster lensArchive · Written questions · 16 tabled · 16 answered

Written questions by Carmichael.

Every parliamentary written question tabled by Alistair Carmichael this session, with the full answer and department. Back to the MP page.

Department:All (16)Department for Environment, Food and Rural Affairs (5)Department for Energy Security and Net Zero (2)Treasury (2)Foreign, Commonwealth and Development Office (2)Home Office (2)Department for Business and Trade (1)Department for Science, Innovation and Technology (1)Ministry of Defence (1)

Showing 11 of 1 · Department for Business and Trade

20 Apr 2026·Department for Business and Trade·Answered
Asked

A) what role the enforceability of UK court judgments plays in the Government’s assessment of financial services cooperation and market access discussions with the United Arab Emirates; and b) whether the non-enforcement to date of the High Court judgment in Njord Partners SMA-Seal LP & ors v Astir Maritime & ors [2024] has been raised in that context.

Reply

HM Treasury takes a range of factors into account when discussing financial services cooperation and market access with overseas jurisdictions, including the regulatory framework in those jurisdictions and the competitiveness of the UK market. HM Treasury has not discussed with the UAE in that context the High Court judgment in Njord Partners SMA-Seal LP & ors v Astir Maritime & ors [2024]. Civil and commercial judgments from courts in the UK may be enforceable in other countries if permitted by the domestic law of the country concerned. Additionally, by joining the 2019 Hague Judgments Convention, the Government took an important step in strengthening the UK’s framework for the recognition and enforcement of such judgments. The Convention entered into force for the UK on 1 July 2025 and may provide greater certainty, reduced costs and quicker resolution in relevant cross‑border disputes. Being Party to the Convention offers a clearer route to the enforcement of in-scope UK civil judgments, including those based on fraud, in other Contracting Parties. The UAE is not Party to the 2019 Hague Convention. Whether a particular UK civil judgment is enforceable in the UAE is therefore determined by UAE domestic law.

Sources
SourceUK Parliament Members API
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