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To Which Court Employers Should Turn to in Case of Trade Secret Theft in Hungary?

To Which Court Employers Should Turn to in Case of Trade Secret Theft in Hungary?

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Companies who are the victims of trade secret thefts by their employees in Hungary are protected on more levels: in addition to relying on the Business Secret Act, they can invoke the Labour Code, as well.Less clear is to which court should employers turn to in case they decide to sue their former employee and the competitor, employing the latter. Is the commercial court or the labour court the right forum? We analyse the question in the light of a recent judgment of the Hungarian Supreme Court.

Facts

The claimant complained that its ex-employee and its competitor as co-defendants induced certain employees of the claimant to terminate their employment and work for the claimant’s competitor. To this end, the claimant’s ex-employee disclosed a set of data to the claimant’s competitor in relation to the targeted employees such as their salary and other working conditions.

The claimant filed a claim requesting the commercial court to establish the infringement of trade secrets and award damages. Claimant relied on the Business Secret Act as legal basis.

The Defendants requested the commercial court to terminate the procedure and refer the claimant’s action to the competent labour court since the claimant’s claim against its ex-employee is stemming from the former employment relationship between them.

Lower court decisions

The first and second instance courts found that the dispute does not fall within the labour court’s competence given that the claimant asserted exclusively its rights protected by the Business Secret Act and the subject-matter of the action is not the employment relationship between the claimant and its ex-employee.

Thus, both courts examined the claimant’s action in its merits. While the first instance court established the trade secret infringement, the second instance court dismissed the claimant’s action as in its view the information disclosed between the defendants did not constitute a trade secret in the sense of the Business Secret Act.

Supreme Court

Surprisingly, in the judicial review procedure, the Supreme Court established that the labour court is competent to hear the case and terminated the procedure.

According to the Supreme Court, given that the Business Secret Act shall be interpreted in the employment relationship, in case of a trade secret infringement by an employee, the Business Secret Act and the Labour Code shall be applied together.

A contrary interpretation could lead to abuses by employers: they could argue that they solely base their trade secret infringement claims on the Business Secret Act and exempt themselves from the special rules of labour litigation, thereby depriving employees of special procedural guarantees.

Based on the Supreme Court’s decision when it comes to a trade secret infringement, the claimant as an employer cannot have the liberty to sue its ex-employee in front of the commercial court solely on the basis of the Business Secret Act but shall file its claim to the labour court invoking the provisions of the Labour Code as well. Moreover, if the employer wishes to bring an action against the company to whom its employee disclosed the trade secrets as a co-defendant, the labour court will be competent, too.

While it is understandable that the Supreme Court wanted to protect employees against being sued before the general commercial court based on the Business Secret Act, it is not sure that it is a good direction to deprive employers from their private autonomy and force them to sue their ex-employees on the basis of the Labour Code.

Nevertheless, given that the decisions of the Supreme Court being a precedent shall be followed by lower courts, for employers finding themselves in a similar situation in Hungary it is advised to sue their ex-employees in front of the labour court invoking the provisions of both the Labour Code and the Business Secret Act.

By Richard Schmidt, Managing Partner and Anita Vereb, Attorney-at-law, SmartLegal Schmidt & Partners

Hungary Knowledge Partner

Nagy és Trócsányi was founded in 1991, turned into limited professional partnership (in Hungarian: ügyvédi iroda) in 1992, with the aim of offering sophisticated legal services. The firm continues to seek excellence in a comprehensive and modern practice, which spans international commercial and business law. 

The firm’s lawyers provide clients with advice and representation in an active, thoughtful and ethical manner, with a real understanding of clients‘ business needs and the markets in which they operate.

The firm is one of the largest home-grown independent law firms in Hungary. Currently Nagy és Trócsányi has 26 lawyers out of which there are 8 active partners. All partners are equity partners.

Nagy és Trócsányi is a legal entity and registered with the Budapest Bar Association. All lawyers of the Budapest office are either members of, or registered as clerks with, the Budapest Bar Association. Several of the firm’s lawyers are admitted attorneys or registered as legal consultants in New York.

The firm advises a broad range of clients, including numerous multinational corporations. 

Our activity focuses on the following practice areas: M&A, company law, litigation and dispute resolution, real estate law, banking and finance, project financing, insolvency and restructuring, venture capital investment, taxation, competition, utilities, energy, media and telecommunication.

Nagy és Trócsányi is the exclusive member firm in Hungary for Lex Mundi – the world’s leading network of independent law firms with in-depth experience in 100+countries worldwide.

The firm advises a broad range of clients, including numerous multinational corporations. Among our key clients are: OTP Bank, Sberbank, Erste Bank, Scania, KS ORKA, Mannvit, DAF Trucks, Booking.com, Museum of Fine Arts of Budapest, Hungarian Post Pte Ltd, Hiventures, Strabag, CPI Hungary, Givaudan, Marks & Spencer, CBA.

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