The recognition and enforcement of foreign judgments is an aspect of private international law, and concerns situations where a successful party to litigation seeks to rely on a judgment obtained in one court, in a court in another jurisdiction. The most common example where the recognition and enforcement of foreign judgments may arise is where a party who has obtained a favourable judgment in one state or country may seek to recognise and enforce the judgment in another state or country. This occurs because there is no sufficient asset in the state or country where the judgment was rendered to satisfy that judgment. As technological advancements in communications over vast geographical distances have improved exponentially in recent ye...
LL.M. (International Commercial Law)Legal judgements against unsuccessful defendants are handed down...
As one studies the rules of the conflict of laws of the different countries, one is struck by the fa...
Part II of this Comment provides some background on the current American scheme of foreign judgment ...
The United States is currently facing a period of intense interest in transnational litigation. Not ...
When international trade and investment increase, so does the need for satisfactory means of dispute...
England and Canada have adopted divergent approaches to the enforcement of foreign civil and commerc...
Abstract : Judgments in favour of judgment creditors are handed down on a daily basis all over the w...
The curent Hague jurisdiction and recognition project for the recognition and enforcement of foreign...
Foreign countries enforcing American judgments on principle may decline to do so in particular class...
© 2019 Dr. Drossos StamboulakisDespite the importance of recognition and enforcement for internation...
Courts of industrialized nations are often faced with adjudication of cases which involve foreign co...
England and Canada have adopted divergent approaches to the enforcement of foreign civil and commerc...
RIV: ČLÁNEK VE SBORNÍKU JE NA CESTĚ K ZAŘAZENÍ DO WEB OF SCIENCE, BLIŽŠÍ INFO ZATÍM NEMÁM. The issue...
Many nations do not accord conclusive effect to foreign judgments unless their own judicial decrees ...
As one studies the rules of the conflict of laws of the different countries, one is struck by the fa...
LL.M. (International Commercial Law)Legal judgements against unsuccessful defendants are handed down...
As one studies the rules of the conflict of laws of the different countries, one is struck by the fa...
Part II of this Comment provides some background on the current American scheme of foreign judgment ...
The United States is currently facing a period of intense interest in transnational litigation. Not ...
When international trade and investment increase, so does the need for satisfactory means of dispute...
England and Canada have adopted divergent approaches to the enforcement of foreign civil and commerc...
Abstract : Judgments in favour of judgment creditors are handed down on a daily basis all over the w...
The curent Hague jurisdiction and recognition project for the recognition and enforcement of foreign...
Foreign countries enforcing American judgments on principle may decline to do so in particular class...
© 2019 Dr. Drossos StamboulakisDespite the importance of recognition and enforcement for internation...
Courts of industrialized nations are often faced with adjudication of cases which involve foreign co...
England and Canada have adopted divergent approaches to the enforcement of foreign civil and commerc...
RIV: ČLÁNEK VE SBORNÍKU JE NA CESTĚ K ZAŘAZENÍ DO WEB OF SCIENCE, BLIŽŠÍ INFO ZATÍM NEMÁM. The issue...
Many nations do not accord conclusive effect to foreign judgments unless their own judicial decrees ...
As one studies the rules of the conflict of laws of the different countries, one is struck by the fa...
LL.M. (International Commercial Law)Legal judgements against unsuccessful defendants are handed down...
As one studies the rules of the conflict of laws of the different countries, one is struck by the fa...
Part II of this Comment provides some background on the current American scheme of foreign judgment ...