...of arbitral awards by the courts of the Member States being limited in scope, provided that the fundamental provisions of EU law can be examined in the course of that...
...information over time and maintain experienced and knowledgeable arbitrators; more importantly, arbitral awards made through the institutions may obtain favorable recognition from national courts. Therefore, institutional arbitration, rather than ad...
Authors: Abhijnan Jha* and Urvashi Misra*** Jurisdiction: International Topics: Arbitral Process Ad Hoc Arbitral Awards INTRODUCTION It is not easy to conduct an arbitration. There may be complex matters of...
...of arbitrations. The MAC has also started publishing summaries of arbitral awards rendered under their Arbitration Rules[16] and statistics regarding the cases it administers.[17] Further, Brazil’s Security Exchange Commission (Comissão...
...Arbitral Awards Procedure for Enforcement Description: The decision whether to include or exclude entities that did not sign the arbitration agreement as respondents in a new international arbitration can be...
Author: Rada Lelutiu** Published: April 2004 Topics: Recourse Against Award Generally Enforcement of Arbitral Awards Enforceability Grounds for Refusal of Enforcement New York Convention Description: I. INTRODUCTION Concluded in 1958,...
...have argued elsewhere, judicial review of arbitral awards, statutorily provided for, may not be contractually modified, arbitrators in Swedish arbitrations cannot escape such judicial review and the consequent assessment of...
...Art. 1’s stipulation to enforceability under the New York Convention). [22] Id. [23] Convention on the Recognition and Enforcement of Foreign Arbitral Awards (“New York Convention”), June 6, 1958, Art....
Author: Report of the Committee on International Commercial Disputes of the Association of the Bar of the City of New York Published: August 2014 Description: I. INTRODUCTION Publication of arbitral...
...Enforcement of Foreign Arbitral Awards of 1958.[25] The Convention is used to enforce arbitral awards rendered in favor or against a State on the territory of another State where enforcement...
...avoided in the international arbitration community. When choosing to hold arbitration in a particular country, parties seek a court system that allows for quick and fair enforcement of arbitral awards....
Author: Sergia Carias-Borjas** Published: October 1991 Jurisdiction: Senegal France Topics: Commercial Disputes Investment Disputes Enforcement of Arbitral Awards Enforceability ICSID Description: The viability of any international commercial arbitration system depends...
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