Courts' Inquiry into Arbitral Jurisdiction at the Pre-Award Stage A Comparative Analysis of the English, German and Swiss Legal Order /
International arbitration has become the favored method of resolving disputes between business partners in almost every aspect of international trade, commerce, and investment. The resolution of a dispute by means of international arbitration provides the parties with an opportunity to resolve their...
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Format: | Electronic |
Language: | English |
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Heidelberg :
Springer International Publishing : Imprint: Springer,
2013.
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Online Access: | https://ezaccess.library.uitm.edu.my/login?url=http://dx.doi.org/10.1007/978-3-319-00134-0 |
Table of Contents:
- Introduction
- Functional Equivalents for Comparison
- Theoretical Underpinnings of Arbitral Jurisdiction
- Competence-Competence
- The New York Convention and the Obligation to Recognise and Enforce Arbitration Agreements
- The Application of Section 9 of the Arbitration Act 1996 (England)
- The Application of ʹ 1032(1) of the German Code of Civil Procedure (Germany)
- The Application of Article 7 of the Swiss Private International Law Act (Switzerland)
- Conclusion, Evaluation and Future Perspectives.