The Hague Judgments Convention 2019 makes the classic distinction between private law matters within its scope (civil or commercial matters) and public law matters outside its scope. It also follows the same position in relation to State immunity used in the Hague Choice of Court Convention 2005 (see Art. 2(5) in 2019 and 2(6) in 2005). The innovative parts of the 2019 Convention relate to the exclusions from scope in Article 2 relating to the armed forces, law enforcement activities and unilateral debt restructuring. Finally, in Article 19, the Convention creates a new declaration system permitting States to widen the exclusion from scope to some private law judgments concerning a State, or a State agency or a natural person acting for the...
A new international agreement on juridiction and foreign judgments in civil and commercial matters i...
The Hague Conference on Private International Law is promoting the adoption of rules designed to cir...
This article contends that the Hague Choice of Court Agreement Convention’s (‘Hague Convention’) sys...
The Hague Judgments Convention 2019 makes the classic distinction between private law matters within...
This chapter is intended to focus on the practical operation of The Hague Conference on Private Inte...
The 2018 draft of a Hague Judgments Convention adopts a framework based largely on what some have re...
The Hague Judgments Convention, completed on July 2, 2019, is built on a list of “jurisdictional fil...
Can the Hague Judgments Convention be saved through radical downsizing? It has been more than ten ye...
The 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil or Commer...
After the adoption of the 2019 Convention on the Recognition and Enforcement of Foreign Judgments in...
The curent Hague jurisdiction and recognition project for the recognition and enforcement of foreign...
In this paper author briefly analyzes certain provisions of Hague Convention of 2 July 2019 on the R...
The proposed Hague Convention provides the United States with a guarantee that U.S. judgments in com...
The purpose of this Article is to explore the influence of the Cape Town Convention on the enforceme...
This comment is based on remarks at the Eighth Regional Meeting of the American Society of Internati...
A new international agreement on juridiction and foreign judgments in civil and commercial matters i...
The Hague Conference on Private International Law is promoting the adoption of rules designed to cir...
This article contends that the Hague Choice of Court Agreement Convention’s (‘Hague Convention’) sys...
The Hague Judgments Convention 2019 makes the classic distinction between private law matters within...
This chapter is intended to focus on the practical operation of The Hague Conference on Private Inte...
The 2018 draft of a Hague Judgments Convention adopts a framework based largely on what some have re...
The Hague Judgments Convention, completed on July 2, 2019, is built on a list of “jurisdictional fil...
Can the Hague Judgments Convention be saved through radical downsizing? It has been more than ten ye...
The 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil or Commer...
After the adoption of the 2019 Convention on the Recognition and Enforcement of Foreign Judgments in...
The curent Hague jurisdiction and recognition project for the recognition and enforcement of foreign...
In this paper author briefly analyzes certain provisions of Hague Convention of 2 July 2019 on the R...
The proposed Hague Convention provides the United States with a guarantee that U.S. judgments in com...
The purpose of this Article is to explore the influence of the Cape Town Convention on the enforceme...
This comment is based on remarks at the Eighth Regional Meeting of the American Society of Internati...
A new international agreement on juridiction and foreign judgments in civil and commercial matters i...
The Hague Conference on Private International Law is promoting the adoption of rules designed to cir...
This article contends that the Hague Choice of Court Agreement Convention’s (‘Hague Convention’) sys...