In this case, the court’s approach fully corresponds to the strict wording of Article 241 of the Arbitrazh Procedure Code, says Igor Sokolov, Senior Associate in the Dispute Resolution practice at SL LEGAL. According to this article, recognition and enforcement of a foreign judgment requires either an international treaty or a specific clause in a law. Russian courts rarely recognise foreign judgments based solely on reciprocity or international comity. Another nuance here is that these principles are not enshrined in law, and courts interpret them differently.