Once again, a European court denied the enforcement of a U.S. punitive damages award. Different actors, same outcome: punitive damages are deemed contrary to public policy in Europe, where the different national systems of civil liability do not seek punishment, but strict compensation. This article studies the developments of punitive damages within the United States, highlighting the anomalies that such doctrine carries with regard to both private and criminal law. Among the explicit goals of this study is the disclosure of the main (constitutional) hurdles which the Italian legal system poses to the judicial recognition of U.S. punitive damages awards. However, the Italian Supreme Court has set a risky precedent by holding that the Europ...
This essay discusses a number of developments outside of the United States concerning punitive damag...
In the European punitive damages debate there is both strong interest in and strong resistance to th...
This article analyzes the possibility to award punitive damages in international arbitration. First ...
none1noDifferent actors, same outcome: another European court has refused to recognize and enforce a...
Once again, a European court denied the enforcement of a U.S. punitive damages award. Different acto...
On 5 July 2017, the United Sections of the Italian Supreme Court of Cassation delivered an interesti...
On 5 July 2017, the United Sections of the Italian Supreme Court of Cassation delivered an interesti...
In 2007, the Italian Supreme Court stated in a landmark judicial decision regarding the enforcement ...
The recognition of punitive damages represents a controversial issue in Europe. For many years, due ...
Following the decision of the First Division of the Court of Cassation issued on May 16, 2016, the U...
Punitive damages are a typical and settled feature of American law. The remedy can be described as a...
none1noThis essay deals with the enforceability of U.S. opt-out class actions in Europe, with specia...
This article’s objective is to introduce U.S.-based practitioners to European civil-law perspectives...
Court of Cassation, Joint Sessions, no. 16601/2017 has opened the doors to the recognition of puniti...
In the current legal system, the purpose of civil liability law is not just to make the victim of a ...
This essay discusses a number of developments outside of the United States concerning punitive damag...
In the European punitive damages debate there is both strong interest in and strong resistance to th...
This article analyzes the possibility to award punitive damages in international arbitration. First ...
none1noDifferent actors, same outcome: another European court has refused to recognize and enforce a...
Once again, a European court denied the enforcement of a U.S. punitive damages award. Different acto...
On 5 July 2017, the United Sections of the Italian Supreme Court of Cassation delivered an interesti...
On 5 July 2017, the United Sections of the Italian Supreme Court of Cassation delivered an interesti...
In 2007, the Italian Supreme Court stated in a landmark judicial decision regarding the enforcement ...
The recognition of punitive damages represents a controversial issue in Europe. For many years, due ...
Following the decision of the First Division of the Court of Cassation issued on May 16, 2016, the U...
Punitive damages are a typical and settled feature of American law. The remedy can be described as a...
none1noThis essay deals with the enforceability of U.S. opt-out class actions in Europe, with specia...
This article’s objective is to introduce U.S.-based practitioners to European civil-law perspectives...
Court of Cassation, Joint Sessions, no. 16601/2017 has opened the doors to the recognition of puniti...
In the current legal system, the purpose of civil liability law is not just to make the victim of a ...
This essay discusses a number of developments outside of the United States concerning punitive damag...
In the European punitive damages debate there is both strong interest in and strong resistance to th...
This article analyzes the possibility to award punitive damages in international arbitration. First ...