Can an overseas Court ,lawfully, pierce the veil of a UK Ltd Company to make a Judgement
against a director of said UK Ltd Company (civil not criminal ) ?. The director is NOT resident
in the Country (which is EU as is Court but different Countries) . It is made on the basis that
for a particular civil tort in the Courts Country the director (OF a Company incorporated
in that Country itself, but not a UK Ltd company ) can be held liable as well as Company,
whereas in the UK they cannot . I should add that the Company has a mailing address in the
overseas Country (like a mailbox address).