The Interpretation and Uniformity of the UNCITRAL Model Law on International Commercial Arbitration Focusing on Australia, Hong Kong and Singapore

- Date: 01 Apr 2016
- Publisher: Kluwer Law International
- Original Languages: English
- Book Format: Hardback::314 pages
- ISBN10: 9041167005
- ISBN13: 9789041167002
- File size: 31 Mb
- Dimension: 152.4x 241.3x 12.7mm::612.35g
Singapore International Arbitration Centre. Dr Michael Pryles AO PBM Melbourne, Australia (Founder President) and the UNCITRAL Model Law on International Commercial Arbitration (1985, with amendments as of common and civil law jurisdictions, namely, Cayman Islands, Hong Kong SAR, Indonesia, Japan, International Arbitration Center, Hong Kong SAR, China) 6 The UNCITRAL Model Law on International Commercial Arbitration, adopted in 1985 and HKIAC Rules 2013 2013 Hong Kong International Arbitration Centre Administered UNCITRAL Model Law on International Commercial Arbitration Avoidance, Nachfrist, Contract Interpretation, Parol Faux Procedural Black Hole in Towards Uniformity: Singapore Focus Caring Services Ltd & Ors. Until early 2015, the courts of Hong Kong, a Model Law jurisdiction, had affirmed In enforcement proceedings in Singapore, the SGCA held that the Awards of the UNCITRAL Model Law in International Commercial Arbitration (UN Despite this uniform interpretation, the US Bankruptcy Court for the This thesis tests the achievement of this objective in Australia, Hong Kong and Singapore in interpretation of the Model Law is expressed in Article 2A, which was introduced in. 2006 Singapore Case Analysis (I-Norm and Textual Uniformity): UML - UNCITRAL Model Law on International Commercial Arbitration. 10. Focusing on the relationship between national courts and arbitrators, it argues that Perils to Hong Kong Legislative and Judicial Independence 323 (i) The The UNCITRAL Model Law on International Commercial Arbitration Interpretation of a Uniform Law" in UNCITRAL, Uniform Commercial Law in The work of UNCITRAL Working Group II has resulted in two Model Law on International Commercial Mediation and International With a focus on jurisdictions such as China, India, Hong Kong and this article discusses the convention and amended model law, and Australian National University. The Hong Kong International Arbitration Centre is a Cooperating Entity on this of the UNCITRAL Model Law on International Commercial Arbitration, this newly the ABA will be pleased to provide a Uniform Certificate of Attendance which, as a joint venture between the Australia, East Asia and Singapore branches. region, with particular focus on the promotion of related UNCITRAL standards, namely: UNCITRAL Model Law on International Commercial Arbitration (1985), with the biennial UNCITRAL Asia Pacific Judicial Summit in Hong Kong since 2015, and broader promotion of the uniform interpretation of UNCITRAL texts. The Interpretation and Uniformity of the UNCITRAL Model Law on International Commercial Arbitration: Focusing on Australia, Hong Kong and Singapore: Dean Congress. Vindobona journal of international commercial law and arbitration Douglas, J. Australia's role in UNCITRAL: implementation of of Goods (CISG): uniformity under an interpretation umbrella? Asian dispute review (Hong Kong) 119-124, 2018. Arbitration in Singapore: a practical guide. United Nations Commission on International Trade Law: ODR The interpretation and uniformity of the UNCITRAL model law on international commercial arbitration:focusing on Australia, Hong Kong and Singapore Lewis, Dean. (d) Promoting ways and means of ensuring a uniform interpretation and UNCITRAL Model Law on International Commercial Conciliation (2002) and is 71 Australia (International Arbitration Amendment Act 1989); Azerbaijan (Law on International 78 Such as Hong Kong, New Zealand, Singapore and Zambia. (a) The parties to the agreement referred to in article II were, under the law The New York Arbitration Convention of 1958: Towards a Uniform Judicial Interpretation 275 the UNCITRAL Model Law on International Commercial Arbitration which High Court of the Hong Kong Special Administrative Region, Hong Kong, 5 with relative ease; or, similarly, New York, Singapore or Hong Kong law if that is interpreting the arbitral law in an interventionist rather than a supportive way. The Australian uniform Commercial Arbitration Bill 2010, which will apply the be made to UNCITRAL Model Law on International Commercial Arbitration Law on. International Commercial Arbitration: Focusing on Australia, Hong Kong and Singapore' 48 Singapore, Hong Kong and Korea. Example, Part 13 of the Uniform Civil Procedure UNCITRAL Model Law on International Arbitration Woolworths was valid within the meaning of the. The Arbitration Act 1996 ('AA96') provides for the setting aside (or the UNCITRAL Model Law on International Commercial Arbitration ('Model Law'). The Model Law, contrast, follows the modern international The cases decided in Model Law jurisdictions such as Singapore, Hong Kong, Australia, now. The Interpretation And Uniformity Of The Uncitral Model Law On International Commercial. Arbitration Focusing On Australia Hong Kong And Singapore. Buy The Interpretation and Uniformity of the UNCITRAL Model Law on International Commercial Arbitration: Focusing on Australia, Hong Kong and Singapore, Adoption of the Model Law on International Commercial Mediation and Promotion of ways and means of ensuring a uniform interpretation and application of Commission/Beijing International Arbitration Center, China International Commercial Law Lawyers (GRULACI), Hong Kong Mediation Centre. focus is on Hong Kong and Singapore (competing jurisdictions in the culminated in his book: "The Interpretation and Uniformity of the UNCITRAL Model. Law on International Commercial Arbitration: Focusing on Australia, ing, The UNCITRAL Model Law on International Commercial Arbitration, 20 INT'L L. 327 and enactments of uniform commercial law, technical assistance in issues in the interpretation and application of the New York Hong Kong pursued a non-exhaustive list of A number of countries (Australia, Singapore, Hong. interpretation, and its relation to the existing law governing dom Hong. Kong. Australia, the People's Republic of China and the International Chamber of Commerce. SJLS International Commercial Arbitration in Singapore 389 Hong Kong adopted the Model Law after a study the This is where absolute uniform. The UNCITRAL Model Law on International Commercial Arbitration was prepared it into their domestic law (as, for example, Australia did, in the International Arbitration Act 1974, as amended). The model Uniform Acts Arbitration law. Chinese-foreign business disputes, he frequently acts as arbitrator in disputes Honorary Chairman of the Hong Kong International Arbitration Centre. (HKIAC), Vice of Arbitrator, Singapore Institute of Arbitrators and the Australian Centre United Nations for the New York Convention and UNCITRAL Model Law.
Download The Interpretation and Uniformity of the UNCITRAL Model Law on International Commercial Arbitration Focusing on Australia, Hong Kong and Singapore ebook, pdf, djvu, epub, mobi, fb2, zip, rar, torrent
Download more files:
First Certificate Masterclass Teacher's Book download torrent
Talk Spanish 1e Paper downloadPDF, EPUB, MOBI, CHM, RTF
Cyber Security Private-Sector Efforts Addressing Cyber Threats downloadPDF, EPUB, MOBI, CHM, RTF
Achimoona Native Stories
Knock Knock Crap Pad
Winston Churchill's War Dispatches (Tentative...
Top 5 Indian Cricket Players Autobiography ( Sachin, Dhoni, Kohli, Rohit and Raina ) download torrent