...Iranian Law on International Commercial Arbitration (“LICA”),[3] which is largely inspired by the UNCITRAL Model Law.[4] Article 482 of the CPC requires an arbitral award “to be justified and reasoned”...
...it the SIAC, the LCIA, the ICC, ICSID or even the UNCITRAL Model Law. The first part, will provide an analysis of two landmark cases which involved a challenge to...
...“Arbitration Statute”), comprehensively governs various aspects of arbitration, including domestic, international, and social arbitration. This law closely followed the UNCITRAL Model Law on International Commercial Arbitration, as indicated in the...
Author: Yongming Wu* Jurisdictions: China Topics: Arbitration Legislation On July 30, 2021, the People’s Republic of China’s (“China”) Ministry of Justice published the proposed revisions to China’s Arbitration Law (“the...
...[8] Virtual Hearings at HKIAC: Services and Success Stories, Press Release (May 2020) https://hkiac.glueup.com/event/virtual-hearings-at-hkiac-services-and-success-stories-22546/experience-and-expertise.html [9] UNCITRAL Model Law on International Commercial Arbitration, Art. 20(2) (1985, amended 2006), https://www.uncitral.org/pdf/english/texts/arbitration/ml-arb/07-86998_Ebook.pdf. [10] Law...
...using the 1985 UNCITRAL Model Law on International Commercial Arbitration (the “Model Law”) as a starting point – a suggestion with which I agree. However, there are reasons why it...
Authors: Kartikey Mahajan,* Satjit Singh Chhabra,** and Aayushi Singh*** Jurisdiction: Singapore Topics: UNCITRAL Model Law International Litigation Enforcement of Arbitral Awards Interpretation of the Award BRIEF OVERVIEW The Singapore Court...
...International Commercial Arbitration (“UNCITRAL Model Law”) as the basis of their respective arbitration legislations. Pertinently, the UNCITRAL Model Law does not contain specific provisions concerning the principle of confidentiality. Therefore,...
...and Costs Enforcement of Arbitral Awards Enforceability UNCITRAL National Institutions and Rules AAA Practice and Procedure FAA New York Convention UNCITRAL Model Law Description: In the United States, until the...
...key aspects of the UNCITRAL Model Law into Brazil’s arbitration regime.[4] Brazil is generally considered a pro-arbitration jurisdiction because its courts —including most notably the Superior Court of Justice (“STJ”)...
...simply its intent, namely “[A]n act to enable effect to be given in the State to the UNCITRAL Model Law on International Commercial Arbitration.” Before this Act, arbitration in Ireland...
...topics proposed by Professor Sanders himself. And he has expanded his discussion of the UNCITRAL Conciliation Rules with a detailed review of the 2002 UNCITRAL Model Law on International Commercial...
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