CHAPTER 24: INTERNATIONAL LAW IN A GLOBAL ECONOMY 5
B3. Michael, a citizen of Ireland, and Nina, a citizen of the United States, enter into
a contract. When Nina breaches the contract, Michael obtains an award of
damages in an Irish court. He asks a U.S. court to enforce the award. The U.S.
court defers to and enforces the Irish court’s decree. This is
a. a travesty of justice.
b. the act of state doctrine.
c. the doctrine of sovereign immunity.
d. the principle of comity.
B4. The basis for India to give effect to the laws and court decisions of the United
States is primarily
a. courtesy and respect.
b. fear and intimidation.
c. admiration and envy.
d. payments of cash and exchanges of property.
B5. Global Marketing, Inc., a U.S. firm, owns property in Honduras. The
government in Honduras takes Global Marketing’s property without paying for
it. A U.S. court will probably not examine the validity of this act committed by
Honduras within its own territory, under
a. the act of state doctrine.
b. the doctrine of sovereign immunity.
c. the principle of comity.
d. the World Trade Organization .
B6. Mountain Mining Company, a U.S. firm, owns property in Bolivia. The
government of Bolivia seizes the property for an illegal purpose without paying
just compensation. This is
a. confiscation.
b. defalcation.
c. dumping.