×







We sell 100% Genuine & New Books only!

International Commercial Disputes: Commercial Conflict of Laws in English Courts at Meripustak

International Commercial Disputes: Commercial Conflict of Laws in English Courts by Adeline Chong Jonathan Hill, Bloomsbury Publishing PLC

Books from same Author: Adeline Chong Jonathan Hill

Books from same Publisher: Bloomsbury Publishing PLC

Related Category: Author List / Publisher List


  • Price: ₹ 11010.00/- [ 15.00% off ]

    Seller Price: ₹ 9359.00

Estimated Delivery Time : 4-5 Business Days

Sold By: Meripustak      Click for Bulk Order

Free Shipping (for orders above ₹ 499) *T&C apply.

In Stock

We deliver across all postal codes in India

Orders Outside India


Add To Cart


Outside India Order Estimated Delivery Time
7-10 Business Days


  • We Deliver Across 100+ Countries

  • MeriPustak’s Books are 100% New & Original
  • General Information  
    Author(s)Adeline Chong Jonathan Hill
    PublisherBloomsbury Publishing PLC
    EditionEdition Statement 4th Revised ed.
    ISBN9781841138510
    Pages896
    BindingPaperback
    LanguageEnglish
    Publish YearSeptember 2010

    Description

    Bloomsbury Publishing PLC International Commercial Disputes: Commercial Conflict of Laws in English Courts by Adeline Chong Jonathan Hill

    This is the fourth edition of this highly regarded work on the law of international commercial litigation as practised in the English courts. As such it is primarily concerned with how commercial disputes which have connections with more than one country are dealt with by the English courts. Much of the law which provides the framework for the resolution of such disputes is derived from international instruments including recent Conventions and Regulations which have significantly re-shaped the law in the European Union. The scope and impact of these European instruments is fully explained and assessed in this new edition. The work is organised in four parts. The first part considers the jurisdiction of the English courts and the recognition and enforcement in England of judgments granted by the courts of other countries. This part of the work which involves analysis of both the Brussels I Regulation and the so-called traditional rules includes chapters dealing with jurisdiction in personam and in rem anti-suit injunctions and provisional measures.The works second part focuses on the rules which determine whether English law or the law of another country is applicable to a given situation. The part includes a discussion of choice of law in contract and tort with particular attention being devoted to the recent Rome I and Rome II Regulations. The third part of the work includes three new chapters on international aspects of insolvency (in particular under the EC Insolvency Regulation) and the final part focuses on an analysis of legal aspects of international commercial arbitration. In particular this part examines: the powers of the English courts to support or supervise an arbitration; the effect of an arbitration agreement on the jurisdiction of the English courts; the law which governs an arbitration agreement and the parties dispute; and the recognition and enforcement of foreign arbitration awards.show more



    Book Successfully Added To Your Cart