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Jurisdiction and arbitration agreements in international commercial law / (Record no. 107)

MARC details
000 -LEADER
fixed length control field 05933cam a2200457 i 4500
001 - CONTROL NUMBER
control field 17853040
005 - DATE AND TIME OF LATEST TRANSACTION
control field 20250509124946.0
008 - FIXED-LENGTH DATA ELEMENTS--GENERAL INFORMATION
fixed length control field 130815s2014 enk b 001 0 eng
010 ## - LIBRARY OF CONGRESS CONTROL NUMBER
LC control number 2013033349
020 ## - INTERNATIONAL STANDARD BOOK NUMBER
International Standard Book Number 9780415625548 (hardback)
020 ## - INTERNATIONAL STANDARD BOOK NUMBER
International Standard Book Number 0415625548 (hardback)
020 ## - INTERNATIONAL STANDARD BOOK NUMBER
Canceled/invalid ISBN 9780203712788 (ebk)
020 ## - INTERNATIONAL STANDARD BOOK NUMBER
Canceled/invalid ISBN 0203712781 (ebk)
040 ## - CATALOGING SOURCE
Original cataloging agency DLC
Language of cataloging eng
Transcribing agency DLC
Description conventions rda
042 ## - AUTHENTICATION CODE
Authentication code pcc
050 00 - LIBRARY OF CONGRESS CALL NUMBER
Classification number K2400
Item number .T356 2014
082 00 - DEWEY DECIMAL CLASSIFICATION NUMBER
Classification number 343.08/7
Edition information 23
084 ## - OTHER CLASSIFICATION NUMBER
Classification number LAW014010
-- LAW014000
-- LAW017000
Number source bisacsh
100 1# - MAIN ENTRY--PERSONAL NAME
Personal name Tang, Zheng Sophia,
Relator term author.
245 10 - TITLE STATEMENT
Title Jurisdiction and arbitration agreements in international commercial law /
Statement of responsibility, etc. Zheng Sophia Tang.
264 #1 - PRODUCTION, PUBLICATION, DISTRIBUTION, MANUFACTURE, AND COPYRIGHT NOTICE
Place of production, publication, distribution, manufacture Milton Park, Abingdon, Oxon :
-- New York, NY :
Name of producer, publisher, distributor, manufacturer Routledge,
Date of production, publication, distribution, manufacture, or copyright notice 2014.
300 ## - PHYSICAL DESCRIPTION
Extent xxxviii, 273 pages ;
Dimensions 24 cm.
336 ## - CONTENT TYPE
Content type term text
Source rdacontent
337 ## - MEDIA TYPE
Media type term unmediated
Source rdamedia
338 ## - CARRIER TYPE
Carrier type term volume
Source rdacarrier
490 0# - SERIES STATEMENT
Series statement Routledge research in international commercial law
504 ## - BIBLIOGRAPHY, ETC. NOTE
Bibliography, etc. note Includes bibliographical references (pages 257-267) and index.
505 0# - FORMATTED CONTENTS NOTE
Formatted contents note Introduction -- Prerequisites : contractual requirements -- Prerequisites : which forum decides? -- Subject matter scope -- Enforceability of dispute resolution agreements -- Supporting party autonomy : lis pendens, forum non conveniens and anti-suit injunctions -- Autonomy and supporting measures in Europe -- Recognition and enforcement of judgments and awards -- International convention in jurisdiction and arbitration agreements : a comparative study.
520 ## - SUMMARY, ETC.
Summary, etc. "When deciding how and where to resolve disputes that have or may arise parties in international civil and commercial relationship make agreements separate from the main contract which determine either the choice of court or the form and procedure arbitration will take. Both types of agreement have specific contractual requirements for their formation, incorporation and validity, provide certainty for commercial parties, have the prorogation effect to make the chosen forum competent and have the derogation power to deprive any otherwise competent fora their jurisdiction. Because of the similarities between the two types of procedural autonomy agreements, they are often treated in a similar way by courts and practitioners. The Convention on the Recognition and Enforcement of Foreign Arbitral Awards, also known as the New York Convention which requires the courts of contracting States to give effect to private agreements to arbitrate as well as recognizing and enforcing arbitration awards made in other contracting states has proved very successful since it entered into force in 1959. In 2005 the Hague Convention on Choice of Court Agreements was concluded and opened for ratification. This aims to become the litigating counterpart to the New York Convention and it is presumed that since exclusive jurisdiction clauses have similar functions to arbitration agreements that the Hague Choice of Court Convention should achieve similar success. This book offers a systematic and comparative study on the prerequisites, effectiveness, and enforcement of exclusive jurisdiction and arbitration agreements in international dispute resolution in order to determine whether the clauses have the identical effects in private international law. The book also investigates whether they have or should be given the same treatment by most countries in the world. The book compares the treatment of jurisdiction and arbitration clauses in the US, China, the UK and the EU with the use of empirical evidence to demonstrate how in practice exclusive jurisdiction and arbitration agreements are enforced. In light of all this the book considers whether the Hague Convention could be treated as a litigating counterpart of the New York Convention and whether it could work successfully to facilitate judicial cooperation and party autonomy in international commerce"--
Assigning source Provided by publisher.
520 ## - SUMMARY, ETC.
Summary, etc. "Arbitration and jurisdiction agreements are frequently used in transnational commercial contracts to reduce risk, gain efficacy and acquire certainty and predictability. Because of the similarities between these two types of procedural autonomy agreements, they are often treated in a similar way by courts and practitioners. This book offers a comprehensive study of the prerequisites, effectiveness, and enforcement of exclusive jurisdiction and arbitration agreements in international dispute resolution. It examines whether jurisdiction and arbitration clauses have identical effects in private international law and whether they have been or should be given the same treatment by most countries in the world. By comparing the treatment of these clauses in the US, China, UK and EU, Zheng Sophia Tang demonstrates how, in practice, exclusive jurisdiction and arbitration agreements are enforced. The book considers whether the Hague Convention on Choice of Court Agreements could be treated as a litigating counterpart to the New York Convention, and whether it could work successfully to facilitate judicial cooperation and party autonomy in international commerce. This book breaks new ground in combining updated materials in EU, US and UK law with unique resources on Chinese law and practice. It will be valuable for academics and practitioners working in the field of private international law and international arbitration"--
Assigning source Provided by publisher.
650 #0 - SUBJECT ADDED ENTRY--TOPICAL TERM
Topical term or geographic name entry element Arbitration agreements, Commercial.
650 #0 - SUBJECT ADDED ENTRY--TOPICAL TERM
Topical term or geographic name entry element International commercial arbitration.
650 #0 - SUBJECT ADDED ENTRY--TOPICAL TERM
Topical term or geographic name entry element Jurisdiction.
650 #0 - SUBJECT ADDED ENTRY--TOPICAL TERM
Topical term or geographic name entry element Commercial law.
650 #7 - SUBJECT ADDED ENTRY--TOPICAL TERM
Topical term or geographic name entry element LAW / Commercial / International Trade.
Source of heading or term bisacsh
650 #7 - SUBJECT ADDED ENTRY--TOPICAL TERM
Topical term or geographic name entry element LAW / Commercial / General.
Source of heading or term bisacsh
650 #7 - SUBJECT ADDED ENTRY--TOPICAL TERM
Topical term or geographic name entry element LAW / Conflict of Laws.
Source of heading or term bisacsh
906 ## - LOCAL DATA ELEMENT F, LDF (RLIN)
a 7
b cbc
c orignew
d 1
e ecip
f 20
g y-gencatlg
942 ## - ADDED ENTRY ELEMENTS (KOHA)
Source of classification or shelving scheme Library of Congress Classification
Koha item type Book
Suppress in OPAC No

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