This paper addresses the principles of hardship and specific performance as being unreasonably burdensome or expensive both in terms of their definitions and legal consequences. This paper argues that, in a situation of hardship, the debtor can choose to invoke either the rules of section 6.2 (hardship) or the defense to specific performance under Article 7.2.2-b of the UNIDROIT Principles of International Commercial Contracts (“UNIDROIT Principles”). Yet, while in a situation where performance of the contract becomes “unreasonably burdensome or expensive,” the debtor might only invoke the exception to specific performance under Article 7.2.2(b) of the UNIDROIT Principles
I. The UNIDROIT Principles And Similar Initiatives A. The UNIDROIT Principles 1994 B. The UNIDROIT P...
The United Nations Convention on the International Sale of Goods (CISG) sets forth only a basic fram...
It is true to say that both the UNIDROIT Principles and the Convention are instruments which can be ...
This paper addresses the principles of hardship and specific performance as being unreasonably burd...
The UNIDROIT Principles of International Commercial Contracts (PICC) have a significant effect on th...
This paper presents an analytical view of the concept of hardship as described in Art.79 CISG, Art.8...
The present era of heightened liberalisation has encouraged an increasing number of jurisdictions ac...
A recent decision of the Belgian Cour de cassation ruled that under article 79 of the Convention on ...
When the UNIDROIT Principles (the Principles) were published in 1994 they were considered to be &ldq...
The purpose of a contract is to establish the contracting parties’ rights and responsibilities under...
This paper begins with a general overview of the UNIDROIT contributions to the modernisation and ha...
Frustration of purpose is a defense to the enforcement of a contractual obligation. Legal systems ge...
The authors of this article apply systemic and comparative methods in order to discuss the key crit...
Force majeure and hardship – two legal terms connected with drafting contracts (with or without cros...
This thesis provides a comparative analysis of legal systems in the matter of unforeseen contengenci...
I. The UNIDROIT Principles And Similar Initiatives A. The UNIDROIT Principles 1994 B. The UNIDROIT P...
The United Nations Convention on the International Sale of Goods (CISG) sets forth only a basic fram...
It is true to say that both the UNIDROIT Principles and the Convention are instruments which can be ...
This paper addresses the principles of hardship and specific performance as being unreasonably burd...
The UNIDROIT Principles of International Commercial Contracts (PICC) have a significant effect on th...
This paper presents an analytical view of the concept of hardship as described in Art.79 CISG, Art.8...
The present era of heightened liberalisation has encouraged an increasing number of jurisdictions ac...
A recent decision of the Belgian Cour de cassation ruled that under article 79 of the Convention on ...
When the UNIDROIT Principles (the Principles) were published in 1994 they were considered to be &ldq...
The purpose of a contract is to establish the contracting parties’ rights and responsibilities under...
This paper begins with a general overview of the UNIDROIT contributions to the modernisation and ha...
Frustration of purpose is a defense to the enforcement of a contractual obligation. Legal systems ge...
The authors of this article apply systemic and comparative methods in order to discuss the key crit...
Force majeure and hardship – two legal terms connected with drafting contracts (with or without cros...
This thesis provides a comparative analysis of legal systems in the matter of unforeseen contengenci...
I. The UNIDROIT Principles And Similar Initiatives A. The UNIDROIT Principles 1994 B. The UNIDROIT P...
The United Nations Convention on the International Sale of Goods (CISG) sets forth only a basic fram...
It is true to say that both the UNIDROIT Principles and the Convention are instruments which can be ...