Let’s analyze the recent ruling no. 16006 of 2024, which clarifies the evidentiary procedures in third-party opposition against mobiliary execution in the context of enforced collection. A focus on evidentiary limitations and the required documents.
In this analysis of ruling no. 21230 of July 30, 2024, we explore the prerequisites for ordinary third-party opposition, providing clarifications on how to protect autonomous rights in case of legal prejudice.