Assesses the extent to which the provisions of Council Regulation 1346/2000 may conflict with those of the UNCITRAL Model Law on Cross Border Insolvency 1997 in the event of an international insolvency which crosses EC borders and how priorities might be determined by EC courts in such circumstances. Reviews the limits of the Regulation's application and case law on its potential effect on non EC debtors bound by the Model Law, including the circumstances in which a company incorporated elsewhere may be deemed to have its centre of main interests within the EC. Considers the international relevance of the Regulation and the position of groups of companies with some non EC members
The present article is dedicated to analysis of unification of provisions concerning cross-border in...
It may be said with some conviction that the Regulation [European Council Regulation on Insolvency P...
International bodies have started addressing the problem of cross-border insolvency of corporate gro...
In May 2007 the European countries celebrated the first lustrum of the EU Insolvency Regulation (134...
In case of international trade, of companies operating world-wide and an increasingly globalized eco...
The chapter deals with the general principles concerning cross-border insolvency as stemming from th...
In response to cross-border insolvencies, conflicts of law and jurisdiction may arise and they canno...
This paper - written for a conference held in Leuven (KUL) in 2001- offers a global analysis of the ...
The present work wishes to disseminate the results of a research aimed at collecting national practi...
This thesis focuses primarily on the field of European cross-border insolvency law, currently repres...
Mechanism of the insolvency legal regulation is a complex of rules of substantive and procedure laws...
Background to Convention and Regulation 1346/2000, problems with jurisdiction rules of Convention, s...
Discusses the calls for the amendment of Council Regulation 1346/2000, the Insolvency Regulation. Ex...
This book presents a comprehensive analysis of the regulation of cross-border insolvencies in Europe...
The continual growth in international trade and investments relation has Ьrought with it the increas...
The present article is dedicated to analysis of unification of provisions concerning cross-border in...
It may be said with some conviction that the Regulation [European Council Regulation on Insolvency P...
International bodies have started addressing the problem of cross-border insolvency of corporate gro...
In May 2007 the European countries celebrated the first lustrum of the EU Insolvency Regulation (134...
In case of international trade, of companies operating world-wide and an increasingly globalized eco...
The chapter deals with the general principles concerning cross-border insolvency as stemming from th...
In response to cross-border insolvencies, conflicts of law and jurisdiction may arise and they canno...
This paper - written for a conference held in Leuven (KUL) in 2001- offers a global analysis of the ...
The present work wishes to disseminate the results of a research aimed at collecting national practi...
This thesis focuses primarily on the field of European cross-border insolvency law, currently repres...
Mechanism of the insolvency legal regulation is a complex of rules of substantive and procedure laws...
Background to Convention and Regulation 1346/2000, problems with jurisdiction rules of Convention, s...
Discusses the calls for the amendment of Council Regulation 1346/2000, the Insolvency Regulation. Ex...
This book presents a comprehensive analysis of the regulation of cross-border insolvencies in Europe...
The continual growth in international trade and investments relation has Ьrought with it the increas...
The present article is dedicated to analysis of unification of provisions concerning cross-border in...
It may be said with some conviction that the Regulation [European Council Regulation on Insolvency P...
International bodies have started addressing the problem of cross-border insolvency of corporate gro...