The Site Map is a full index of all articles posted to CONFLICT OF LAWS .NET. Combined with the search function in the left-hand menu, it should enable you to find what you’re looking for with relative ease. The index is in reverse chronological order, with posts listed in their respective categories.
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Posts
- Category: Articles
- Third Issue of 2008's Revue Critique Droit Int'l Privé (1)
- Book: Liber Amicorum Hélène Gaudemet-Tallon
- Second Issue of 2008's Revue Critique de Droit Int'l Privé (1)
- Article: Muir Watt on Economics of Adjudication and Int'l Arbitration
- Eighteen Publications on South African Private International Law 2007-2008
- Forum Non Conveniens and Australian Family Law Cases
- Article: How Modern Assisted Reproductive Technologies Challenge the Traditional Realm of Conflicts of Law
- Article: Liberating the Individual from Battles Between States – Justifying Party Autonomy in Conflict of Laws (4)
- Papers Published from the Duke Symposium on the European Choice of Law Revolution
- Latest Issue of "Praxis des Internationalen Privat- und Verfahrensrechts" (5/2008)
- Choice of Law for Procedural Matters in Patent Cases: A New Article
- Third Issue of 2008's Journal du Droit International
- Weintraub on Rome II: Simple and Predictable, Consequences-Based, or Neither?
- Article on Rome I Regulation
- Volume 4, Issue 2, Journal of Private International Law (August 2008)
- Symeonides: Choice of Law for Products Liability (1)
- Article on the Interaction of Choice of Law Rules and the Australian Constitution
- Kozyris on Rome II: Tort Conflicts on the Right Track! A Postscript to Symeon Symeonides' “Missed Opportunity”
- Latest Issue of "Praxis des Internationalen Privat- und Verfahrensrechts" (4/2008)
- First Issue of 2008's Revue Critique de Droit International Privé
- Article on the Eurofood Case
- A Round-Up of Articles Recently Published (1)
- Canadian Conflicts Publications
- 2007's Yearbook of Private International Law
- Second Issue of 2008's Journal du Droit International
- Symeonides: Result-Selectivism in Private International Law
- German Annotation on first ECJ Judgment on Brussels II bis
- Annotation on ECJ Judgment in "FBTO Schadeverzekeringen"
- Recent Article Entitled "Pleading and Proving Foreign Law in Australia"
- Rome II: a Critical Appraisal of the Conflict Rule on Culpa In Contrahendo
- Volume 4, Issue 1, Journal of Private International Law
- Article: Jurisdiction for Insolvency-Related Proceedings
- Article: The Flight to New York: An Empirical Study of Choice of Law and Choice of Forum Clauses in Publicly-Held Companies’ Contracts
- The American Revolution and the European Evolution in Choice of Law: Reciprocal Lessons
- First issue of 2008's Journal du Droit International
- Latest Issue of "Praxis des Internationalen Privat- und Verfahrensrechts"
- Fourth Issue of 2007's Revue Critique de Droit International Privé
- New Articles for Early 2008
- Article on the Economic Analysis of Choice of Law Clauses
- Party Autonomy and Beyond: An International Perspective of Contractual Choice of Law
- Article Challenges Canadian Approach to Jurisdiction
- Choice of Law in the American Courts in 2007: Twenty-First Annual Survey
- West Tankers, and Worldwide Freezing Orders
- What Do We Really Know About the American Choice of Law Revolution?
- Fourth issue of 2007's Journal du Droit International
- Au Revoir to Renvoi?
- Who is Bound by the Brussels Regulation? LMCLQ November 2007
- Conflict of Laws Issues Associated with an Action for Interference with Privacy
- Inter-Country Adoptions from India
- German Article on Rome II Regulation (3)
- Symeonides on Rome II: a Missed Opportunity (and other works on tort conflicts)
- The Applicable Law in Cases Involving the Loi Badinter
- Third Issue of 2007's Revue Critique de Droit International Privé
- Article: The Liberalization of the French Law of Foreign Judgments
- Fourth Issue of 2007's International and Comparative Law Quarterly
- Private International Law in Africa: Past, Present and Future
- German Article: The Law Applicable to Voluntary Agency in a Comparative Perspective
- Matrimonial Property: Harmony in Europe?
- Arbitration Agreements, Anti-Suit Injunctions and the Brussels Regulation
- Latest Issue of "Praxis des Internationalen Privat- und Verfahrensrechts"
- Volume 3, Issue 2, Journal of Private International Law
- German Article on Abusive Choice of Court Clauses in European Law (1)
- German Article on Rome II
- Cross-border Insolvency in New Zealand
- Freeport v Arnoldsson: Art 6(1) of the Brussels I Regulation (8)
- Contractual Choice of Law in Contracts of Adhesion and Party Autonomy
- Saving the Hague Choice of Court Convention (1)
- Recognition and Res Judicata of US Class Action Judgments in European Legal Systems
- Same Sex Unions Within the Current Regulatory Framework of Serbian Private International Law
- Third Issue of 2007's Journal du Droit International
- Christian Schulze, ‘The 2005 Hague Convention on Choice of Court Agreements’, (2007) 19 SA Merc LJ 140-150
- Follow-up Australian Article on Enforcing a Judgment on a Judgment
- Romanian Journal of Private International Law and Comparative Private Law
- 10% Discount on the Journal of Private International Law
- The Cost of Transnational Accidents: Evolving Conflict Rules on Torts
- Economics of Conflict of Laws
- Latest Issue of "Praxis des Internationalen Privat- und Verfahrensrechts" - Annotation on "Color Drack"
- Recent Articles on Recognition and Enforcement in Canada
- Articles for October
- Revocation of Wills in South African Private International Law
- Conflict of Laws in a Globalized World (1)
- Second Issue of 2007's Revue Critique de Droit International Privé
- French Translation of the CLIP Comment
- Another article on Spider-in-the-Web doctrine after Roche ruling
- American and European Approaches to Personal Jurisdiction Based Upon Internet Activity (1)
- Shielding Local Law and Those it Protects from Adhesive Choice of Law Clauses
- Characterisation and liberative prescription/limitation in South Africa
- Second Issue 2007 of "Rivista di diritto internazionale privato e processuale"
- Determining the Enforceability of an English Court Order Varying a Jersey Trust: Limitation, Legal Basis and Comity
- Anti-Suit Injunctions in the EU: A Necessary Mechanism in Resolving Jurisdictional Conflicts?
- Choice of Law for Quantification of Damages: A Judgment of the House of Lords Makes a Bad Rule Worse
- Articles on Hague Choice of Court and Evidence Conventions
- German Article: Costs of Free Choice of Law from an Economic Perspective (3)
- Owusu and Turner: The Shark in the Water?
- Austrian Article on Rome II
- Croatian Article on Choice-of-Law and Choice-of-Court Agreements
- Proceeds from the Croatian Arbitration and Conciliation Days Published
- German Annotations on "Color Drack"
- German Article on the Cross-Border Enforcement of English Freezing Injunctions
- German Annotation on Referring Decision in FBTO Schadeverzekeringen N.V. v Jack Odenbreit (C-463/06)
- Article on Jurisdiction and Choice of Law in Economic Perspective (1)
- German Article on the Procedure for a Declaration of Enforceability under the Brussels Regulation
- Second Issue of 2007's Journal du Droit International
- Recent Canadian Articles (1)
- Two CLIP Articles Published in German Periodicals
- Article on the Enforcement of Foreign Registered IP Rights in Australia
- West Tankers Case: Articles by Max Planck Institute's Scholars
- Article on Non-State Law
- German Article on Rome I
- Private International Law Aspects of Homosexual Couples: The Netherlands Report
- Article on Rome II - Liability for Cross-Border Torts
- Article in Commemorance of Arthur Taylor von Mehren (1)
- Yearbook of Private International Law, vol. VIII (2006)
- First Issue of 2007's Revue Critique de Droit International privé
- Comments on Rome I (1)
- Australian Article on Enforcing a Judgment on a Judgment
- Brussels IV - The Problems of Trusts and Characterisation
- Short Article on Jurisdiction and the Internet
- First Issue of 2007's Journal du Droit International
- ICLQ Articles on Harding v Wealands and the Law of Domicile
- Jersey's New Private International Law Rules for Trusts
- German Casenote on ECJ Lechouritou Judgment
- First Issue 2007 of "Rivista di Diritto Internazionale Privato e Processuale"
- Vol. 3, Issue 1, Journal of Private International Law
- Mixed Contracts, the Vienna Sales Convention and the Brussels Convention
- Conflict of Laws in Mexico
- Exclusive Jurisdiction, Cross-Border IP Infringement and the Brussels I Regulation
- Two Paradigms of Jurisdiction
- First Issue of 2007's LMCLQ and Private International Law (2)
- Collisions of Economic Regulations and the Need to Harmonise Prescriptive Jurisdiction Rules
- The First US Conflicts Restatement Through the Eyes of Old: As Bad as its Reputation?
- The Differing Approach to Commercial Litigation in the ECJ and the Courts of England and Wales (1)
- Mance: "Is Europe Aiming to Civilise the Common Law"? (1)
- The Trust in Spanish and Italian Private International Law
- Insolvency and the Conflict of Laws: A Review of English Cases in 2006
- CLIP papers on Intellectual Property in Brussels I and Rome I Regulations (1)
- Last Issue of Revue Critique de Droit International Privé
- Allocating Jurisdiction in Private Competition Law Claims Within the EU
- Choice of Law in American Courts in 2006: Twentieth Annual Survey
- Substantive Law, Technology and Intellectual Property in the Conflict of Laws
- Choice of Law, Jurisdiction and Foreign Judgment Enforcement in IP Disputes
- "Rome II" and the Choice of Law for Defamation Claims
- Patent Litigation in the EU - German Case Note on "GAT" and "Roche"
- Abolishing Exequatur in the EU: The European Enforcement Order
- The Limits of the Judicial Function and the Conflict of Laws
- From Politics to Efficiency in Choice of Law (1)
- International Effects of National Laws: An Article Detailing the Flow of International Listings After Sarbanes-Oxley
- Diana Wallis on the Need to Find Coherent EU Cross-Border Legislation
- Scots Rules of Private International Law Concerning Homosexual Couples (1)
- Navigating the Common Law Approach to Cross-Border Insolvency (1)
- Transnational Tort Litigation as a Trade and Investment Issue
- Harding v Wealands - the Final Word on Assessment of Damages under English Law?
- Mutual Recognition of Personal and Family Status in the EC
- There's No Case Like Rome (III)
- Casenote on Harding v Wealands and the Quantification of Damages
- Is Cross-Border Relief in European Patent Litigation at an End?
- The Impact of Art 6(1) of the ECHR on Private International Law
- The Mobility of Companies in Europe
- The Battle over Jurisdiction in EC Insolvency Law
- Communication Breakdown
- Internet Defamation and Choice of Law in Dow Jones v Gutnick
- Applicable Law Aspects of Copyright Infringement on the Internet
- Private International Law Applied to Business
- The Regime for the Circulation of Judgments under the EC Insolvency Regulation
- Articles on the Conflict of Laws in International Arbitration
- Natural Forum and the Elusive Significance of Jurisdiction Agreements
- Warnings for a new Beginning: Singapore Choice of Law in Tort
- The Application of the Statute Law of Singapore within its Private Internatinal Law
- Governing Cyberspace: a US Approach
- Some English Articles in December
- Three Croatian Articles on Conflict of Laws: Contracts and Companies
- German Article on Consumer Contracts in Rome I
- German Annotation to the ECJ's Opinion 1/03 - Competence of the EC to conclude the new Lugano Convention
- Reviewing U.S. Domestic and Global Choice of Forum Doctrine through Piper Aircraft v Reyno
- No Surprise But Now Substantiated: Foreign Litigants Lose More in US Courts
- Determinants for Dataflow
- The Threat of Forum Shopping
- The American Journal of Comparative Law, 2006 American National Report
- The Impact of Mutual Recognition and the Country of Origin Principle on the Internal Market
- Jurisdiction over Defences and Connected Claims
- A Farewell to Cross-Border Injunctions?
- The New Rule on the Assignment of Rights in Rome I - the Solution to all our Proprietary Problems?
- The Further Consequences of a Choice of Law? Trafigura Beheer v Kookmin Bank (1)
- State Immunity and Sovereign Debt Developments (1)
- Observations from the Intersection of Private International Law and Civil Procedure in the USA
- The Quest for the Optimum in Resolving Product-Liability Conflicts
- Some Case Comments And Practitioner Articles in November
- The Making of European Private Law: Regulation and Governance Design (1)
- Homing Devices in Choice of Tort Law: Australian, British and Canadian Approaches
- Party Autonomy and Private Law-Making in Private International Law: The Lex Mercatoria that Isn't
- Telemedicine and Robotics in the Conflict of Laws
- German Article on the Principle of Mutual Recognition
- Enforcing International Arbitration Agreements: the Remedial Powers of Federal Courts
- Rome II - All Change?
- Torts and Choice of Law: Searching for Principles
- Articles on Family Law and English Private International Law
- Recognition and Enforcement of Foreign Intellectual Property Judgments: Analysis and Guidelines for a New International Convention
- Vol. 2, No. 2 of the Journal of Private International Law
- Enforcing Prenuptial Agreements in English Courts
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