|
![]() |
|||
|
||||
OverviewThis book provides a much-needed analysis of this very important subject for international business lawyers, including discussion of the jurisdictional and choice of laws issues arising from cross-border contracts of insurance and reinsurance concluded by electronic means. This book is the first published in England to devote itself to a detailed analysis of the choice of laws rules in the E.C. Insurance Directives. It is aimed at academics and practitioners, at private international lawyers and at insurance lawyers. The private international law rules of the E.C. Insurance Directives deal with the applicable law to insurance contracts covering risks situated within the EU. They do not deal with the applicable law to reinsurance contracts and insurance contracts covering risks situated outside the EU. This should be ascertained by reference to the choice of laws provisions in the 1980 Rome Convention on the law applicable to contractual obligations. Detailed discussion of these rules is also provided, and proposals for reform suggested Full Product DetailsAuthor: Francesco Seatzu (University of Cagliari, Italy) , Professor of EC Law Stephen Weatherill (University of Oxford Jacques Delors Professor of EU Law, Law Faculty and Somerville College, Oxford University) , Ulf BernitzPublisher: Hart Publishing (UK) Imprint: Hart Publishing (UK) ISBN: 9781280808494ISBN 10: 1280808497 Pages: 388 Publication Date: 10 January 2010 Audience: General/trade , General Format: Electronic book text Publisher's Status: Active Availability: Available To Order ![]() We have confirmation that this item is in stock with the supplier. It will be ordered in for you and dispatched immediately. Table of ContentsReviewsAuthor InformationTab Content 6Author Website:Countries AvailableAll regions |