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OverviewArbitration clauses in international commercial contracts are often reused from existing contracts. By so doing, the parties choose to apply, for example, either ad hoc or institutional arbitration and the UNCITRAL, ICC, LCIA, SCC, Swiss or other arbitration rules without necessarily being aware of the consequences. Moreover, parties often assume that an arbitration clause has the effect of excluding any kind of interference from a court of law and of rendering any but the chosen law redundant. This book highlights the specific features of various forms of arbitration and enables lawyers to make informed choices when drafting arbitration clauses. Chapters explain the framework for arbitration, its relationship with national law, and the features of the main arbitration institutions in Europe. The book also highlights new trends in other parts of the world that may have repercussions on the theory of international arbitration. Full Product DetailsAuthor: Giuditta Cordero-Moss (Universitetet i Oslo)Publisher: Cambridge University Press Imprint: Cambridge University Press Dimensions: Width: 15.70cm , Height: 2.80cm , Length: 23.60cm Weight: 0.790kg ISBN: 9781107033481ISBN 10: 1107033489 Pages: 451 Publication Date: 14 March 2013 Audience: Professional and scholarly , Professional & Vocational Format: Hardback Publisher's Status: Active Availability: Manufactured on demand ![]() We will order this item for you from a manufactured on demand supplier. Table of ContentsReviewsAuthor InformationGiuditta Cordero-Moss is a professor at the Department for Private Law at the University of Oslo, where she is in charge of international commercial law, international commercial arbitration and private international law. Tab Content 6Author Website:Countries AvailableAll regions |