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US Law and Canadian Law

My help for German clients and other clients in connection with US law and Canadian law: Many German clients (and other clients) who have disputes in US or Canadian law often feel left alone with their problems. Even if they hire an expensive local attorney in the US or in Canada, that only helps them to a certain extent, because they get limited help: Often the "horizon" of lawyers in these countries is limited only to the conditions in their own state. The lawyers then know only their own jurisdiction and the associated processes, which are often difficult to explain.

In addition, the German client is usually dependent on telephone contacts with the foreign attorney. He has to - often at uncomfortable times - talk through complicated legal issues on the phone. Foreign lawyers take their pronunciation, their language speed, the complexity of their language and the description of the legal issues hardly into consideration for the German client. The result: for the German client information falls by the wayside and he perceive the exchange with the attorney as bad.

This is where my help comes for those clients:

I am familiar with the Fundamentals of Civil Law and Procedural Law of the United States of America (USA) and Canada. I gained experience in dealing with these legal systems, having completed part of my education at a US law firm in New York City. For all issues related to US law and Canadian law, I assist my clients with advice and support. I represent clients in these countries from Germany in extrajudicial disputes. In addition,
legal proceedings can also be conducted - with a network of legal cooperation partners admitted there. This is the advantage for German clients that no friction losses occur. Conveniently, you almost do not have to do more than contact the German lawyer to get information about the progress of the matter.

A particular focus of my work is on legal issues related to my areas of expertise. This concerns for example, in labour law, the clarification of conflicts in employment relationships with US employers. And that applies to all questions of inheritance law in the USA and Canada (in particular the handling of wills and bequests). And it applies to all questions of real estate law in the USA and Canada.

For example, I represent you in the following topics:

  • US hire contract
  • Canadian hire contract
  • US flat property right and house property right
  • Canadian flat property right and house property right
  • Real estate purchases in USA
  • Real estate purchases in Canada
  • Real estate sales in USA
  • Real estate sales in Canada
  • Real estate lease in USA
  • Real estate lease in Canada
  • Real estate renting in USA
  • Real estate renting in Canada
  • US-American neighborhood right
  • Canadian neighbourhood right
  • US-broker's right
  • Canadian broker's right
  • Discussions between flat / house owners in USA
  • Discussions between flat / house owners in Canada
  • US-property right
  • Canadian property right
  • US-adjoining owner's right
  • Canadian adjoining owner's right
  • US law of succession
  • Canadian law of succession
  • US testament
  • Canadian testament
  • US testator
  • Canadian testator
  • US heir
  • Canadian heir
  • US property
  • Canadian property
  • Legal succession in USA
  • Legal succession in Canada
  • Letters of administration right in connection with USA
  • Letters of administration right in connection with Canada