The aim of this article is to identify the main principles governing the interpretation of domestic law clauses that grant jurisdiction to ICSID arbitration and to analyse the meaning of such provisions in the context of the SPP v. Egypt case as the first case on the issue. The article first examines the peculiarities of consent to ICSID jurisdiction by way of national legislation. In the first part the analysis of the practice of arbitral tribunals in which a claim was introduced on the basis of consent to arbitration in domestic law shows that specific language of national legislation on consent to arbitration varies considerably. Therefore, since consent is the “cornerstone” of the Centre’s jurisdiction, arbitral tribunals recogni...
Although over a third of all arbitration proceedings result in settlement agreements very little has...
The legitimacy crisis of investment treaty arbitration is much discussed, often challenging the neut...
Business transaction which represents a foreign investment is today most commonly regulated by three...
The aim of this article is to identify the main principles governing the interpretation of domestic ...
The aim of this article is to identify the main principles governing the interpretation of domestic ...
Consent to ICSID jurisdiction may be given in different ways. One option is for the host state to of...
The Article presents information related to the international investment law and investment tribunal...
This article explores problems related to establishing the ICSID jurisdiction to the BITs dispute se...
Bilateral investment treaties (BITs) and the International Centre for the Settlement of Investment D...
Bilateral investment treaties (BITs) and the International Centre for the Settlement of Investment D...
Although over a third of all arbitration proceedings result in settlement agreements very little has...
The article addresses the relationship between judicial autonomy and the autonomy of the parties pri...
The article addresses the relationship between judicial autonomy and the autonomy of the parties pri...
For an investment treaty tribunal to proceed to adjudge the merits of claims arising out of an inves...
This article proposes a new expanded take on the definition of commerciality of international arbitr...
Although over a third of all arbitration proceedings result in settlement agreements very little has...
The legitimacy crisis of investment treaty arbitration is much discussed, often challenging the neut...
Business transaction which represents a foreign investment is today most commonly regulated by three...
The aim of this article is to identify the main principles governing the interpretation of domestic ...
The aim of this article is to identify the main principles governing the interpretation of domestic ...
Consent to ICSID jurisdiction may be given in different ways. One option is for the host state to of...
The Article presents information related to the international investment law and investment tribunal...
This article explores problems related to establishing the ICSID jurisdiction to the BITs dispute se...
Bilateral investment treaties (BITs) and the International Centre for the Settlement of Investment D...
Bilateral investment treaties (BITs) and the International Centre for the Settlement of Investment D...
Although over a third of all arbitration proceedings result in settlement agreements very little has...
The article addresses the relationship between judicial autonomy and the autonomy of the parties pri...
The article addresses the relationship between judicial autonomy and the autonomy of the parties pri...
For an investment treaty tribunal to proceed to adjudge the merits of claims arising out of an inves...
This article proposes a new expanded take on the definition of commerciality of international arbitr...
Although over a third of all arbitration proceedings result in settlement agreements very little has...
The legitimacy crisis of investment treaty arbitration is much discussed, often challenging the neut...
Business transaction which represents a foreign investment is today most commonly regulated by three...