...any possibility of setting aside an award made in Belgium when none of the parties was an individual having Belgian nationality or residence, or a legal person having its main...
Search Results for : "Award"
...University of London. Leonardo won the QMUL International Dispute Resolution Award 2020. He is a Lawyer in Brazil and a Solicitor in England and Wales. ***Lorenzo Galan is an Associate...
Government Contracts and the CISG: Frenemies?
Authors: J. Gillis Wetter* and Charl Prien** Published: October 1991 Jurisdictions: England Sweden United States Topics: Commercial Disputes Arbitral Awards Interest and Costs Costs and Damages ICC ICSID SCC LCIA...
Costs and their Allocation in International Commercial Arbitrations – Vol. ...
...of the arbitral award will be refused on the ground that the party that requested disclosure in the United States was denied the right to present its case in the...
A Proposal to Clarify U.S. Law on Judicial Assistance in ...
...standards. Furthermore, numerous States have acknowledged the unpredictability and inconsistency of damages awards before the United Nations Commission on International Trade Law Working Group III (ISDS Reform) (“Working Group III”),...
Telling Compensable Damages Apart: Addressing Entitlement to Losses of Future ...
Author: Hans Smit* Published: October 2000 Topics: Arbitral Awards Confidentiality and Publication Agreement to Arbitrate Description: Confidentiality in arbitration has gained significant attention in recent years. And recent decisions by...
Breach of Confidentiality as a Ground for Avoidance of the ...
...of that role may differ from jurisdiction to jurisdiction. Similarly, it seems clear that national courts have a role to play on a post-award basis. While jurisdictions may vary as...
The Role of National Courts at the Threshold of Arbitration* ...
...Los Angeles, California, in accordance with the rules of the American Arbitration Association. Any judgment upon an arbitration award may be entered in any court having jurisdiction over the parties.[5]...
Which Law Applies When Determining Whether a Non-Signatory is Bound ...
...Arbitral Awards: The French Position Laurence Franc Correcting Arbitral Mistakes Hans Smit Case No. A27: The Iran-United States Claims Tribunal’s First Award of Damages for a Breach of the Algiers...
Volume 10: Issue 2 (June 1999)
...autonomous arbitral order); Jan Paulsson, Arbitration Unbound: Award Detached from the Law of Its Country of Origin, 30 Int’l. & Comp. L. Q. 358, 358-59 (1981) (discussing delocalized arbitral awards...
Using 28 U.S.C. ยง 1782 to Assist a Private International ...
...to sign the award. Download Full PDF *Attorney at law, admitted to the bar in Athens and New York; Dr. Juris, Ludwig Maximilian University, Munich, Germany; LL.M., Columbia Law School,...
Liability v. Quasi-Judicial Immunity Of The Arbitrator: The Case Against ...
...law would authorize an arbitral award of punitive damages. *Notes and Comments **Fuld Professor of Law and Director, Parker School of Foreign and Comparative Law, Columbia University in the City...
