Better File Than Sorry – Second Set Of German FDI Screening Rules Imposes Strict Penalties, And Still More To Come

Published date22 July 2020
Subject MatterAcquisitions,Foreign Investment,EU,Foreign Direct Investment,Criminal Penalties,Germany,Notification Requirements,AWG/AWV Rules
AuthorFelix Helmstädter,Theresa Oehm
Law FirmMorrison & Foerster LLP

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