The Vienna Sales Convention (1980) follows in large measure the American Uniform Commercial Code: Article 2 on Sales. Is this to imply that the Contracting States to the Vienna Sales Convention really prefer American sales law? This paper answers this question in the negative, and argues instead that the United States' economic leverage with other countries is the key factor influencing developments pertaining to private law on a global level. We explain why it may be useful to harmonize rules of private law on a global level and which rules should be chosen for a uniform law. We show that the choice between two legal arrangements may lead to a coordination problem. Next we argue that the coordination problem is solved in favor of the juris...
This paper analyzes trends in the making of international commercial law including the impetus for g...
Europe has been under the increasing influence of European Union (E.U.) lawmakers, who have undertak...
The creation of international commercial law presents an interesting paradox for proponents of sover...
The vienna sales convention (1980) follows in large measure the american uniform commercial code: ar...
L.LD. (Private International Law)The United Nations Convention on Contracts for the International Sa...
This paper analyzes unifications of nationally defined commercial laws within an elementary non-coop...
The United Nations Convention on Contracts for the International Sale of Goods, or CISG, has been ad...
The 1980 United Nations Convention on Contracts for the International Sale of Goods (CISG or Vienna ...
The development of international trade requires predictability and uniformity of the applicable lega...
This article examines how the globalization of economic markets, and attendant changes in internatio...
It is often said that one of the aims of comparative law is to help in the harmonisation of law, but...
A new lex mercatoria is emerging in the unification of the law of international trade. In analyzing ...
The United Nations Convention on Contracts for the International Sale of Goods aspires to the role o...
This Article briefly assesses the potential implementation of the Hague Draft Convention from the st...
The creation of international commercial law presents an interesting paradox for proponents of sover...
This paper analyzes trends in the making of international commercial law including the impetus for g...
Europe has been under the increasing influence of European Union (E.U.) lawmakers, who have undertak...
The creation of international commercial law presents an interesting paradox for proponents of sover...
The vienna sales convention (1980) follows in large measure the american uniform commercial code: ar...
L.LD. (Private International Law)The United Nations Convention on Contracts for the International Sa...
This paper analyzes unifications of nationally defined commercial laws within an elementary non-coop...
The United Nations Convention on Contracts for the International Sale of Goods, or CISG, has been ad...
The 1980 United Nations Convention on Contracts for the International Sale of Goods (CISG or Vienna ...
The development of international trade requires predictability and uniformity of the applicable lega...
This article examines how the globalization of economic markets, and attendant changes in internatio...
It is often said that one of the aims of comparative law is to help in the harmonisation of law, but...
A new lex mercatoria is emerging in the unification of the law of international trade. In analyzing ...
The United Nations Convention on Contracts for the International Sale of Goods aspires to the role o...
This Article briefly assesses the potential implementation of the Hague Draft Convention from the st...
The creation of international commercial law presents an interesting paradox for proponents of sover...
This paper analyzes trends in the making of international commercial law including the impetus for g...
Europe has been under the increasing influence of European Union (E.U.) lawmakers, who have undertak...
The creation of international commercial law presents an interesting paradox for proponents of sover...