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Of these, 26 were successful cases where the Chinese courts decided to recognize and enforce foreign judgments while 3 were partially successful cases (the Chinese courts recognized compensatory damages but rejected punitivedamages); the recognition and enforcement of foreign judgments were rejected in the remaining 34 cases.
The international rules preclude an award of punitivedamages unless the parties agree otherwise. In other words, when you draft an arbitration clause that specifies the international rules, you will not be getting punitivedamages unless you actually opt into them. So it has to be in a New York Convention country.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Martiny, Dieter. Baden-Baden 2021, pp 127-146. Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Martiny, Dieter. Baden-Baden 2021, pp 127-146. Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Martiny, Dieter. Baden-Baden 2021, pp 127-146. Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Martiny, Dieter. Baden-Baden 2021, pp 127-146. Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Martiny, Dieter. Baden-Baden 2021, pp 127-146. Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Martiny, Dieter. Baden-Baden 2021, pp 127-146. Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Martiny, Dieter. Baden-Baden 2021, pp 127-146. Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Martiny, Dieter. Baden-Baden 2021, pp 127-146. Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Lignes de force, état des lieux et perspectives pour la Belgique », Journal des Tribunaux (JT) 2022-12, pp. 181-187 Malachta, Radovan “Mutual Trust between the Member States of the European Union and the United Kingdom after Brexit: Overview”, in Jirí Valdhans (ed.),
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Baden-Baden 2021, pp 127-146 Maude, L. Hunter “Codifying Comity: The Case for U.S.
EU Civil ProcedureLaw and Third Countries – Which Way Forward?, Ratification of the 2019 Hague Convention on the Recognition and Enforcement of Foreign Judgments in Civil and Commercial Matters”, Wisconsin International Law Review 38 (2021), pp. Baden-Baden 2021, pp 127-146 Maude, L. Hunter “Codifying Comity: The Case for U.S.
The lecture culminated in a lively discussion regarding the ground of refusal for judgments on exemplary or punitivedamages (Art. Surprisingly, this reasoning according to the Explanatory Report does not apply to punitivedamages exception in Art. 301 Civil ProcedureLaw (2023). 7 (1) lit. Spains Art.
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