Published: 6/13/16

Publication: Lexology

he Karlsruhe Appeals Court partially granted a defendant`s request for abatement of preliminary enforcement of a first instance judgment. It held that the practice of the Mannheim Regional Court, which – upon dispute – only reviewed the alleged FRAND offer of the plaintiff on a superficial basis for evident non-FRAND compliance could not be maintained in view of the findings of the CJEU in the Huawei v. ZTE (CJEU, GRUR 2015, 764) case. [READ MORE]

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