Transaction planning using rules on jurisdiction and the recognition and enforcement of judgements
Author(s)
Bibliographic Information
Transaction planning using rules on jurisdiction and the recognition and enforcement of judgements
(Pocketbooks of the Hague Academy of International Law)
Hague Academy of International Law, c2014
Available at 1 libraries
  Aomori
  Iwate
  Miyagi
  Akita
  Yamagata
  Fukushima
  Ibaraki
  Tochigi
  Gunma
  Saitama
  Chiba
  Tokyo
  Kanagawa
  Niigata
  Toyama
  Ishikawa
  Fukui
  Yamanashi
  Nagano
  Gifu
  Shizuoka
  Aichi
  Mie
  Shiga
  Kyoto
  Osaka
  Hyogo
  Nara
  Wakayama
  Tottori
  Shimane
  Okayama
  Hiroshima
  Yamaguchi
  Tokushima
  Kagawa
  Ehime
  Kochi
  Fukuoka
  Saga
  Nagasaki
  Kumamoto
  Oita
  Miyazaki
  Kagoshima
  Okinawa
  Korea
  China
  Thailand
  United Kingdom
  Germany
  Switzerland
  France
  Belgium
  Netherlands
  Sweden
  Norway
  United States of America
Note
Cover title
"Full text of the lecture published in December 2013 in the Recueil des cours, vol. 358"--Opposite series t.p
Description and Table of Contents
Description
Private international law is normally discussed in terms of rules applied in litigation involving parties from more than one State. Those same
rules are fundamentally important, however, to those who plan crossborder commercial transactions with a desire to avoid having a dispute
arise - or at least to place a party in the best position possible if a dispute does arise. This makes rules regarding jurisdiction, applicable law,
and the recognition and enforcement of judgments vitally important to contract negotiations. It also makes the consideration of transactional
interests important when developing new rules of private international law. These lectures examine rules of jurisdiction and rules of recognition
and enforcement of judgments in the United States and the European Union, considering their similarities, their differences, and how they affect the transaction planning process.
Table of Contents
- Excerpt of table of contents: Chapter I. Transaction Planning and Private International Law Chapter II. Understanding Rules of Adjudicatory Jurisdiction across Legal Systems Chapter III. Understanding Legal System Differences in Rules on the Recognition and Enforcement of Foreign Judgments Chapter IV. Party Autonomy and Transaction Planning Chapter V. Consumer Protection and Private International Law Chapter VI. Revisiting Jurisdictional Issues: Tort Jurisdiction and Transaction Planning Chapter VII. Drafting Effective Choice of Forum Agreements About the Author
- Biographical Note
- Principal Publications.
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