It is the orthodox belief that treaties and—within the EU—directly applicable regulations represent hard, binding international law, while other international instruments-including model laws-are forms of soft law. In a previous publication 2 I discussed how the traditional distinction between hard and soft law is less firm, due particularly to economic and behavioural implications of instrument choice and design. Building on that analysis, this article focuses on the new rules for the international insolvency of enterprise groups in the Recast EU Insolvency Regulation 2015 (" the EIR ") and in the forthcoming UNCITRAL model law on enterprise groups. Contrasting the instruments and using a multi-layered assessment illustrates the blur betwe...
The EU’s crisis response of introducing stricter economic governance has broadened its scope of inte...
In recent years modified universalism has emerged as the normative framework for governing internati...
Insolvency law (bankruptcy law to some) moves so quickly in the cross-border realm that this piece\u...
It is the orthodox belief that treaties and—within the EU—directly applicable regulations represent ...
It is the orthodox belief that treaties and—within the EU—directly applicable regulations represent ...
There has been a considerable amount of legal scholarship regarding the use of hard and soft law...
Insolvency law (bankruptcy law to some) moves so quickly in the cross-border realm that this piece\u...
This article analyzes the soft law applicable to companies within the European Union (EU) in order t...
What motivates the choice between hard and soft law in the drafting of international commercial law,...
Regional and global networks increasingly develop, promulgate and diffuse soft law in the form of no...
It is not surprising that the problems of choice of law and international group insolvency have not ...
In this study, I describe three important articles in the IRJ model law and discuss their developmen...
In this Article, I examine several interrelated points. After defining soft law in Part II, I briefl...
The use and choice of hard and soft law in international governance has been the subject of ever-inc...
This article examines one of the most important trends in international legal governance since the e...
The EU’s crisis response of introducing stricter economic governance has broadened its scope of inte...
In recent years modified universalism has emerged as the normative framework for governing internati...
Insolvency law (bankruptcy law to some) moves so quickly in the cross-border realm that this piece\u...
It is the orthodox belief that treaties and—within the EU—directly applicable regulations represent ...
It is the orthodox belief that treaties and—within the EU—directly applicable regulations represent ...
There has been a considerable amount of legal scholarship regarding the use of hard and soft law...
Insolvency law (bankruptcy law to some) moves so quickly in the cross-border realm that this piece\u...
This article analyzes the soft law applicable to companies within the European Union (EU) in order t...
What motivates the choice between hard and soft law in the drafting of international commercial law,...
Regional and global networks increasingly develop, promulgate and diffuse soft law in the form of no...
It is not surprising that the problems of choice of law and international group insolvency have not ...
In this study, I describe three important articles in the IRJ model law and discuss their developmen...
In this Article, I examine several interrelated points. After defining soft law in Part II, I briefl...
The use and choice of hard and soft law in international governance has been the subject of ever-inc...
This article examines one of the most important trends in international legal governance since the e...
The EU’s crisis response of introducing stricter economic governance has broadened its scope of inte...
In recent years modified universalism has emerged as the normative framework for governing internati...
Insolvency law (bankruptcy law to some) moves so quickly in the cross-border realm that this piece\u...