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Generally, a "foreign judgment" is one that is rendered in another state or country that is judicially distinct from the state where collection of the judgment is sought. Before a foreign judgment can be enforced, certain requirements must be met.
The process requires registering a certified copy of the foreign judgment with the clerk of the court in the jurisdiction where you want to enforce the judgment. You will also need to file an affidavit attesting to certain facts, as specified in the court's procedural rules.
Hence, a decree passed by a superior court of a foreign country cannot be enforced in India if it contravenes an earlier conclusive judgment passed by a competent court in a suit between the same parties, as it is enforced as a domestic decree.
This involves obtaining a certified copy of the original judgment and filing it with the local court along with a number of other documents detailing the terms of the judgment and notifying the debtor of the domestication.
Generally, U.S. judgments cannot be enforced in a foreign country without first being recognized by a court in that foreign country.It can generally be said that non-default judgments not involving tort claims or punitive damages are more likely to be enforced.