CISG Article 6 broadly allows parties to exclude the application of the CISG or derogate from its provisions. The application of Article 6 is relatively straightforward when addressing the rights and obligations of the parties, but encounters a challenge of circularity when addressing issues of contract formation. How can the parties agree to exclude or derogate from the application of the CISG if it is not yet clear whether they have agreed to anything at all? This article explores this narrow, but important question. Can the parties effectively exclude the application of the CISG or derogate from its provisions (i.e., “opt out”) on contract formation within the agreement for which contract formation is at issue? The article begins with a ...
Last year the CISG celebrated its 25th birthday. As of 15 January 2006, the United Nations reports t...
This paper addresses different contentious issues arising in the context of the right to damages und...
This paper considers the relation of the Hague Principles on Choice of Law in International Commerci...
CISG Article 6 broadly allows parties to exclude the application of the CISG or derogate from its pr...
The United Nations Convention on Contracts for the International Sale of Goods (‘CISG’) is one of th...
This article aims to present the consequences of a State's declaration to opt-out from the freedom o...
The United Nations Convention on Contracts for the International Sale of Goods (‘CISG’) is one of th...
Between the time of contract formation and the time for contract performance, a variety of communica...
The article discusses the standards that determine the validity of contracts that are governed by th...
This book chapter provides a comprehensive discussion of the 'Final Provisions' in Articles 89-101 o...
This article deals with fundamental breach in the 1980 United Nations Convention on Contracts for th...
CISG was formally uniform at the time of its adoption. It used the same words in all of the jurisdic...
The CISG has become a uniform law which governs the sale of goods. Fundamental breach and avoidance ...
United nations Convention on Contract for the International Sale of Goods(hereinafter CISG) is prove...
It is true to say that both the UNIDROIT Principles and the Convention are instruments which can be ...
Last year the CISG celebrated its 25th birthday. As of 15 January 2006, the United Nations reports t...
This paper addresses different contentious issues arising in the context of the right to damages und...
This paper considers the relation of the Hague Principles on Choice of Law in International Commerci...
CISG Article 6 broadly allows parties to exclude the application of the CISG or derogate from its pr...
The United Nations Convention on Contracts for the International Sale of Goods (‘CISG’) is one of th...
This article aims to present the consequences of a State's declaration to opt-out from the freedom o...
The United Nations Convention on Contracts for the International Sale of Goods (‘CISG’) is one of th...
Between the time of contract formation and the time for contract performance, a variety of communica...
The article discusses the standards that determine the validity of contracts that are governed by th...
This book chapter provides a comprehensive discussion of the 'Final Provisions' in Articles 89-101 o...
This article deals with fundamental breach in the 1980 United Nations Convention on Contracts for th...
CISG was formally uniform at the time of its adoption. It used the same words in all of the jurisdic...
The CISG has become a uniform law which governs the sale of goods. Fundamental breach and avoidance ...
United nations Convention on Contract for the International Sale of Goods(hereinafter CISG) is prove...
It is true to say that both the UNIDROIT Principles and the Convention are instruments which can be ...
Last year the CISG celebrated its 25th birthday. As of 15 January 2006, the United Nations reports t...
This paper addresses different contentious issues arising in the context of the right to damages und...
This paper considers the relation of the Hague Principles on Choice of Law in International Commerci...