Conflicts of Law
摘要
This chapter deals with conflicts of law in international sales contracts generally, and export insurance in particular. Following the customary Introduction, the chapter covers, inter alia: The Doctrine of the Proper Law of the Contract; Applicable Law of the Contract; Choice of Law under English Law; Choice of Law under the EU (Rome Convention); Jurisdiction generally; Jurisdiction through the EU (Brussels Convention); Jurisdiction outside the EU; Enforcement of Insurance contract disputes in the EU; Enforcement Process; Conciliation and Derecognition and Enforcement of Insurance Judgments; Consequences of Brexit on international sales contracts generally and on export insurance ones in particular; Further Food for Thoughts; Concluding Remarks; References Used; and Further Readings.