Comparative Law of International Arbitration
This new and updated English language edition of an acclaimed French language text guides practitioners through the international arbitration process from beginning to end. It compares the rules of arbitral procedure in each of the major arbitration jurisdictions, helping practitioners decide which jurisdiction/institution’s rules they wish to be bound by.
Provides intelligent, approachable guidance through the beginning, middle and end of an international commercial arbitration
– Compares the rules in each of the major arbitration jurisdictions at each stage of the process
– Pinpoints strengths and weaknesses of arbitration in each jurisdiction
– Supplies detailed advice on topics such as the arbitration agreement, how to progress a case, the award, and enforcement of the award
– Examines the UNCITRAL Model Law, the New York Convention 1958 and the major arbitration rules
– Covers important European legislation, including Sweden, Belgium, Germany, England, Italy, Holland, France and Switzerland, with relevant references to US law
₦950,000.00