...present implementation challenges, given the historical example of the EU withholding from implementing a mechanism for the seizure of assets belonging to Iranian citizens to enforce US court judgments issued...
...range of legal issues arising out of the law and practice of international organizations. **Charles B. Rosenberg is a Legal Adviser at the Iran-United States Claims Tribunal in The Hague....
...Before joining WIPO in 1996, he practiced with the law firm of Clifford Change in Amsterdam, was on the legal staff of the Iran-United States Claims Tribunal in The Hague,...
...focuses on international dispute resolution, particularly in the intellectual property field, including litigation, arbitration and mediation; formerly legal assistant to the arbitrators appointed by the United States at the Iran-United...
...[27] Parsons & Whittemore Overseas Co. v. Societe General de l’Industrie du Papier (RAKTA), 508 F.2d 969, (2d Cir, 1974). [28] Ministry of Defence of the Islamic Republic of Iran...
...the updates of Iran’s decisions regarding the New York Convention (to be added to the Kluwer database in February 2021). Sima represented her university in several international moot court competitions....
...home country of the other party? The obvious answer is to create a truly international forum. That forum is international commercial arbitration. Download Full PDF *Judge, Iran-United States Claims Tribunal;...
...and, prior to 2006, was the preferred stance adopted in those cases where the investment’s value decreases post-expropriation, like the Iran-US cases (¶ 25.37). To support her argument, Prof. Stern...
Articles Other Pacific Means of Resolving Iran’s ICJ Certain Iranian Assets Application James D. Fry The Philippine BIT Program and Investor-State Disputes Diane A. Desierto The “Arbitration Hold” in International...
...the Presentation of Evidence in International Commercial Arbitration Martin Hunter Standards of Conduct for Counsel in International Arbitration Jan Paulsson The Role of the United States Agent to the Iran-U.S....
...40% of all FDIs), Russia, the United Kingdom, Switzerland, and Iran (data from the U.S. Department of State). Investments are mainly directed to construction, communications, geological exploration, healthcare, the construction...
...Towards a Unification of Rules on the Extension of Arbitration Agreements: Emphasis on the Agency Theory Hadir Khalifa NOTES The ISDS Impact of Economic Sanctions: Lessons from the Korea-Iran...
This website uses cookies as well as similar tools and technologies to understand visitors' experiences. By continuing to use this website, you consent to Columbia University's usage of cookies and similar technologies, in accordance with the Columbia University Website Cookie Notice.OkColumbia University Website Cookie Notice