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International Insolvency Law: National Laws and International Texts

Autor Elina Moustaira
en Limba Engleză Hardback – 17 ian 2019
This book presents problems that often arise in the context of international/cross-border insolvencies; analyzes and compares national legislations and jurisprudence; elucidates the solutions offered by international/regional instruments; and explores the differences in the implementation of these instruments by various countries and the consequences of these differences. It examines in detail a number of famous and less famous cases tried by national courts, in which it became readily apparent that insolvency law remains one of the bastions of national law. In addition, the book discusses the notion of transplanting foreign [international] insolvency rules and especially the influence that US insolvency law has exerted on other countries’ insolvency [and international insolvency] law. Far from adopting an unrealistically optimistic stance, it soberly examines the complications of cross-border insolvencies, while also presenting potential solutions.
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Specificații

ISBN-13: 9783030044497
ISBN-10: 3030044491
Pagini: 156
Ilustrații: XI, 155 p.
Dimensiuni: 155 x 235 mm
Greutate: 0.41 kg
Ediția:1st ed. 2019
Editura: Springer International Publishing
Colecția Springer
Locul publicării:Cham, Switzerland

Cuprins

Introduction.- Insolvency - International Insolvency.- Influences - Legal Transplants.- European Union.-UNCITRAL Model Law 1997.- Protocols.- Groups of Companies.- Restructuring.- Conclusions.

Textul de pe ultima copertă

This book presents problems that often arise in the context of international/cross-border insolvencies; analyzes and compares national legislations and jurisprudence; elucidates the solutions offered by international/regional instruments; and explores the differences in the implementation of these instruments by various countries and the consequences of these differences. It examines in detail a number of famous and less famous cases tried by national courts, in which it became readily apparent that insolvency law remains one of the bastions of national law. In addition, the book discusses the notion of transplanting foreign [international] insolvency rules and especially the influence that US insolvency law has exerted on other countries’ insolvency [and international insolvency] law. Far from adopting an unrealistically optimistic stance, it soberly examines the complications of cross-border insolvencies, while also presenting potential solutions.

Caracteristici

Explores the influences between nations’ insolvency laws Analyzes international jurisdiction issues and stresses the problems of parallel insolvencies Analyzes the complicated system that EC Regulation 1346/2000 has created and discusses whether the EC Recast Regulation will simplify it Presents the status quo in those countries that have incorporated rules of the UNCITRAL Model Law 1997 and weighs the outcomes