More than 75,000 nationals of the Netherlands are currently residing in the Federal Republic of Germany. The courts of the Federal Republic have therefore quite often had to deal with questions bearing on succession to property belonging to Netherlands nationals and situated in their jurisdiction. Furthermore, a short article on the subject here discussed, written by this author two years ago, has not only provoked extensive academic discussion in German legal periodicals, but has also recently guided— or, as asserted by eminent authority, misguided —at least one German court to a decision on the Netherlands private international law of succession which not only is at odds with well-nigh universal legal opinion in the Netherlands but also at least seemingly at variance with a long line of Netherlands judicial decisions.