Description |
lxvii, 465 pages ; 24 cm |
Series |
Oxford monographs in private international law |
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Oxford monographs in private international law.
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Contents |
Pt. I. International Insolvency: National Approaches. Ch. 1. Theory and Principle in Cross-Border Insolvency. Ch. 2. Insolvency of Individuals. Ch. 3. Insolvency of Companies. Ch. 4. Judicial Assistance in Cross-Border Insolvencies: Current Provisions under National Law -- Pt. II. International Regulation of International Insolvency. Ch. 5. Latin America and Scandinavia. Ch. 6. The European Union Convention on Insolvency Proceedings. Ch. 7. Council of Europe Convention of Istanbul, 5 June 1990. Ch. 8. A Global Initiative: the UNCITRAL Model Law on Cross-Border Insolvency. Ch. 9. Conclusion: Achievements, Trends and Prospects -- App. I. Selected National Legislation -- App. II. European Union Convention on Insolvency Proceedings -- App. III. Council of Europe: European Convention on Certain International Aspects of Bankruptcy (English and French texts) -- App. IV. UNCITRAL: Model Law on Cross-Border Insolvency, May 1997 -- App. V. Latin American Treaties |
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App. VI. Nordic Bankruptcy Convention |
Summary |
This book provides a detailed analysis of the conceptual and practical problems posed by the increasingly common phenomenon of cross-border insolvency, both in respect of individuals and companies. The book will appeal equally to insolvency specialists and to international company and commercial lawyers more generally |
Bibliography |
Includes bibliographical references (pages [454]-455) and index |
Subject |
Conflict of laws -- Bankruptcy.
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LC no. |
98051383 |
ISBN |
019825864X (hb : acid-free paper) |
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