This essay examines Article 7 of the CISG, the provision on the Convention’s interpretation, through the lenses of both German and English law in order to shed light on interpretative issues in which there are divergent views in common law and civil law systems. The essay further provides possible reasons for the non-ratification of the CISG by the UK in contrast to its broad acceptance in Germany. The author more closely examines the issue of good faith as a principle of contract law, its vagueness being one of the possible reasons for the reluctance to ratify the CISG in England. The essay will conclude with an outlook on current and future efforts to harmonize contract law in Europe, notably with regards to the new (Draft) Common Frame o...
The Unidroit principles of International Commercial Contracts (PICC) represent a commendable additio...
The work at hand discusses the role of ‘good faith’ in the meaning of Article 7 of the United Nation...
A number of common law countries such as Canada, New Zealand and the United States have already succ...
This article is based on the speculative hypothesis that the United Kingdom (“UK”) as well as the Re...
The author in this article deals with a significant point of irritation that affects the way that th...
The article discusses the standards that determine the validity of contracts that are governed by th...
The successful acceptance and application of international uniform law instruments such as the CISG ...
The UN Convention on Contracts for the International Sale of Goods (“CISG”)1 has played a preeminent...
The United Nations Convention on Contracts for the International Sale of Goods, 1980 ("CISG") create...
The debate on whether a satisfactory degree of uniformity in the interpretation of the UN Convention...
Over the last decades many attempts have been made in order to harmonize the domain of international...
This article is based on the speculative hypothesis that the United Kingdom (“UK”) as well as the Re...
The United Nations ( UN ) Convention on Contracts for the International Sale of Good ( CISG ) offers...
After many years of negotiation, the United Nations Convention on Contracts for the International Sa...
This paper will cover the adoption of the concept in various instruments such as the Convention for ...
The Unidroit principles of International Commercial Contracts (PICC) represent a commendable additio...
The work at hand discusses the role of ‘good faith’ in the meaning of Article 7 of the United Nation...
A number of common law countries such as Canada, New Zealand and the United States have already succ...
This article is based on the speculative hypothesis that the United Kingdom (“UK”) as well as the Re...
The author in this article deals with a significant point of irritation that affects the way that th...
The article discusses the standards that determine the validity of contracts that are governed by th...
The successful acceptance and application of international uniform law instruments such as the CISG ...
The UN Convention on Contracts for the International Sale of Goods (“CISG”)1 has played a preeminent...
The United Nations Convention on Contracts for the International Sale of Goods, 1980 ("CISG") create...
The debate on whether a satisfactory degree of uniformity in the interpretation of the UN Convention...
Over the last decades many attempts have been made in order to harmonize the domain of international...
This article is based on the speculative hypothesis that the United Kingdom (“UK”) as well as the Re...
The United Nations ( UN ) Convention on Contracts for the International Sale of Good ( CISG ) offers...
After many years of negotiation, the United Nations Convention on Contracts for the International Sa...
This paper will cover the adoption of the concept in various instruments such as the Convention for ...
The Unidroit principles of International Commercial Contracts (PICC) represent a commendable additio...
The work at hand discusses the role of ‘good faith’ in the meaning of Article 7 of the United Nation...
A number of common law countries such as Canada, New Zealand and the United States have already succ...