Results 21 to 30 of about 217,445 (309)
Cross-border litigation is complex. Generally, judgments made by the courts of one sovereign state are, by themselves, not enforceable in the courts of another sovereign state.
Rublyn Nana Ama Acquah +1 more
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Faith and Scepticism in Private International Law: Trust, Governance, Politics, and Foreign Judgments [PDF]
__abstract__ In both the European Union (EU) and the United States (US), the law governing the enforcement of foreign judgments is evolving, but in different directions. EU law, especially after the elimination of exequatur by the 2012 ’Recast’ of the
Whytock, C. (Christopher)
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(Series Information) European Papers - A Journal on Law and Integration, 2016 1(2), 679-689 | European Forum Insight of 10 June 2016 | (Table of Contents) I.
Nicolò Nisi
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BALANCING CONSUMER RIGHTS AND BUSINESS INTERESTS IN ONLINE CROSS-BORDER CONSUMER CONTRACTS
Protection of consumers as weaker parties is an important goal in Indonesian society and in Indonesian law. The same applies to the EU Member States. When it comes to crossborder consumer contracts, special rules are needed to ensure this goal can still ...
Mathijs H. ten Wolde
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(Series Information) European Papers - A Journal on Law and Integration, 2022 7(1), 345-360 | European Forum Insight of 29 June 2022 | (Table of Contents) I. The case forming the subject of the CJEU's judgment in Gtflix TV v DR. - II.
Fabrizio Marongiu Buonaiuti
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The Relation of the EU Law and the Nuclear Liability Legislation: Possibilities, Limits and Mutual Interaction [PDF]
The authors of the paper deal with the legal relations of nuclear liability in their narrow meaning, i.e. specifically they deal with the civil law relationships for the nuclear damage caused by the nuclear incident that are, due to their specific ...
Marianna Novotná, Peter Varga
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The harmonisation of private international law in Europe: taking the character out of family law? [PDF]
This article examines the recent expansion of EU regulation of the private international law aspects of divorce and its consequences. The application of Brussels IIbis, the Maintenance Regulation, Rome III and the proposed Rome IV to a typical divorce ...
Harding, M.
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Public Policy as a Ground for Refusal to Enforce EU Antitrust Damages Awards
The Brussels I Regulation is crucial for the effectiveness of EU competition law in the field of private enforcement because it provides a legal framework for the recognition and enforcement of judgments in civil and commercial matters, which includes ...
Alla Pozdnakova
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Issue of special jurisdiction in disputes coming from contractual relationship under the EU and Serbian law [PDF]
Special jurisdiction in matters of contracts is based on the close link between the cause of action and the territory of the court on which the jurisdiction is conferred. This is exception to the general jurisdiction based on defendant's domicile.
Petrović Milena
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This article offers a critique of the teleological interpretation of the provision of Art. 7(1)(b) of the Brussels I Regulation Recast, adopted by the Court of Justice of the European Union, in relation to the cases where there are several places of ...
Banu Şit Köşgeroğlu
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