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Popular Articles:
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Arbitration Awards, Arbitrators, BIT, Costs in arbitral proceedings, ICSID Convention, Investment, Investment Arbitration, Jurisdiction
ICSID: Curious Facts
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Investment Arbitration and Environmental Protection: A Double-Edged Sword
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The 2019 amendment to the Indian Arbitration Act: A classic case of one step forward two steps backward?
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Severe Breaches of Duty of Confidentiality and Impartiality in the Dispute between Croatia and Slovenia: Is Arbitration Immune to Such Violations?
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Professionalizing Arbitration: A Response to the New York Times Articles on Privatizing Justice
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Machine Arbitrator: Are We Ready?
Recent Articles:
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Perjury and Other Dangers of Transnational Virtual Witness Hearings in International Arbitration
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For Galakis the Bell Tolls: Is the SMAC v Ryanair Decision the End of Arbitration for Public Entities in France?
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Interest Rate Trends in Investor-State Disputes in 2022-2023
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Mongolia: Investment Related Developments in the Mining Sector
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2024 PAW: In Search of the Right Balance: The interplay between Human Rights, ESG, Civil Society and Investment Arbitration
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Public Policy Under Scrutiny by Spanish Courts: Pro-arbitration Approach Confirmed
Random Articles:
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Real Time Dispute Resolution in Rio de Janeiro…Since you Cannot Delay the Olympic Games
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Ruler of Dubai Establishes new Judicial Committee to Resolve Conflicts of Jurisdiction Between the on- and Offshore Dubai Courts: Will it Undermine the DIFC Court’s Acquired Status as a Conduit Jurisdiction for the Enforcement of Arbitral Awards?
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Conflating Politics and Development?
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Global Perspectives on Teaching International Investment Arbitration: Teaching International Investment Law and Arbitration at SOAS University of London
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The Contents of Journal of International Arbitration, Volume 36, Issue 6, 2019
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So You Think You Can… Enforce an Arbitral Award in the Kingdom of Saudi Arabia?
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Revisiting ‘Investment’ under Article 25 of the ICSID Convention
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How Legal Traditions (Still) Matter in International Arbitration
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DIFC, Dubai, Enforcement, forum non conveniens, New York Convention, UAE, Uncategorized, United Arab Emirates
DIFC Court of First Instance dismisses application for referral to USC of purported constitutional conflict between UAE Civil Procedures Code and Dubai Judicial Authority Law and DIFC Arbitration Law
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Can States Assert Counterclaims Against Investors in BIT Proceedings?